Document 2Nzq9BrNdoY9Oa11q51NBKd2b
FILE NAME Owens Illinois OWILL
DATE 1981 Feb 11 DOC OWILL082
DOCUMENT DESCRIPTION Legal - Deposition of Willis Hazard
oo
Dr.ib Dr.ib Dr.ib
UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MASSACHUSETTS
IN RE MASSACHUSETTS
;
ASBESTOS CASES
)
CASE NO
M.B.L. No. 1
P14
Deposition of WILLIS HAZARD a witness
~-
herein called by the Plaintiffs as if upon
Examination under the Federal Rules of Civil
Procedure taken before me the undersigned Dianne Bochi a Notary Public in and for the State of Ohio at the Sheraton Westgage Hotel
3536 Secor Road Toledo Ohio on Tuesday
February 11 1981 at 10:10 o'clock a.m.
I
Gaines Reporting Service
317 SUPERIDA ST TOLEDO OHIO 43604
UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MAINE
LAWRENCE KIMBALL
Plaintiff
VS.
MANVILLE CORPORATION
Defendants
)
,
Applicable to
) Maine Cases
all
) No. 80-0180 P
)
)
Deposition of WILLIS HAZARD a witness here-
in called by the Plaintiffs as if upon Examina-
tion under the Federal Rules of Civil Procedure
taken before me the undersigned Dianne Bochi a Notary Public in and for the State of Ohio at
the Sheraton Westgate Hotel 3536 Secor Road
Toledo Ohio on Tusday February 11 1981 at
ten o'clock a.m.
Gaines Reporting Service
317 SUPERIOR ST TOLEDO OHIO 43604
14101 342.4251
COMMONWEALTH OF PENNSYLVANIA
1ST JUDICIAL DISTRICT COURT OF COMMON PLEAS COUNTY OF PHILADELPHIA
FRANCIS HOGERTY
Plaintiff
VS.
MANVILLE et al
CORPORATION
Defendants
)
)
}
CASE NO 43221
CASE NO 1
)
ASBESTOS CASE
Deposition of WILLIS HAZARD a witness
herein called by the Plaintiffs as if upon
Examination under the Pennsylvania Rules of
Civil Procedure taken before me the undersigned Dianne Bochi a Notary Public in and for the
State of Ohio at the Sheraton Westgate Hotel 3536 Secor Road Toledo Ohio on Tuesday
February 11 1981 at ten o'clock a.m.
Gaines Reporting Service
917 MIDCRIOR MIDCRIOR ST
TOLEDO OHIO 43604
jb
UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND
In
re
Key
Sparrows
Asbestos
Highway and Point Shipyards
Cases
THOMAS L. BAUMANN et al Plaintiffs
vs.
MANVILLE CORP et al
Defendants
79-2204
FREDERICK O. LOHRMANN et al Plaintiffs
VS.
MANVILLE CORP et al
Defendants
79-2203
JOHN J. KENNY et al
Plaintiffs
vs.
MANVILLE CORP et al
Defendants
79-2205
Gaines Reporting Service
317 SUPERIOR ST TOLEDO OHIO 43604
418 243-4251
HOWARD FRALEY et al Plaintiffs
VS.
MANVILLE CORP et al
Defendants
80-2607
LEO GAWOR et al Plaintiffs
vs.
MANVILLE CORP et al
Defendants
80-2608
EPHRAIM HARVARD et al Plaintiffs |
vs.
MANVILLE CORP et al
Defendants
80-2609
ALVIN PURCELL et al Plaintiffs
VS.
MANVILLE CORP et al Defendants
ae
ne
HM 80-2610
EUGENIA BUSKIRK etc. Plaintiff
vs.
MANVILLE CORP et al Defendants
80-2511
MARIE NAGY etc.
|
Plaintiff
VS.
MANVILLE CORP , et al
Defendants
80-2612
MARY PULLER etc.
vs.
Plaintiff
|
MANVILLE CORP , et al
Defendants
80-2613
- VIRGINIA TOBOLL
|
etc.
Plaintiff
vs.
MANVILLE CORP et al Defendants
80-2614
RAYMOND DAVIS et al Plaintiffs
vs.
MANVILLE CORP et al Defendants
80-2615
CLARENCE BROOKS et al
Plaintiffs
VS.
MANVILLE CORP et al
Defendants
80-2616
JAMES JONEeSt al
Plaintiffs
VS.
MANVILLE CORP et al
Defendants
80-2606
Deposition of WILLIS HAZARD a witness herein called by the Plaintiffs as if upon
Examination under the Federal Rules of Civil
Procedure taken before me the undersigned
Dianne Bochi a Notary Public in and for the State of Ohio at the Sheraton Westgate Hotel
3536 Secor Road Toledo Ohio on Tuesday
February 11 1980 at ten o'clock a.m.
APPEARANCES
On behalf of the Plaintiffs
KREINDLER & KREINDLER
Stanley J. Levy Ivan B. Rubin
On behalf of Defendant Illinois Inc
MCCARTER & ENGLISH
Andrew Berry
On behalf of
Corporation
Defendant
Corning
Fiberglas
KRUSEN John P.
EVANS &
Kelley
BYRNE
Joseph A. Stancoti House Counsel
PARKER COULTER DALEY & WHITE Arthur F. Licata
On behalf of Manville Corporation
SEMMES BOWEN & Bruce R. Parker
SEMMES
STITES MCELWAIN &
Thomas C. Hundley
FOWLER
On behalf of Defendant Pittsburgh Corning Corpora-
tion
HERMANN CAHN & SCHNEIDER
Philip J. Hermann
On behalf of Defendat UNARCO Industries
DETWEILER HUGHES & KOKONOS Michael Cannon
esto On behalf of Defendants Keene Corporation Armstrong Cork Company Cumming Insulation Forty
APPEARANCES Cont'd
Insulations Westinghouse J. P. Stevens EaglePichel not included in Philadelphia case
Jan A. Saurman
On behalf Rubberoid
of Defendants GAF
.:
Company Inc
Corporation
and
BAKER & HASTETTLER
Kris Kostolansky
On behalf of Defendant Manhattan
HESSER ARMSTRONG TOOMEY & DISANTIS
William E. Blackie III
On behalf of Fibreboard
Maryland case
not included in
CRONQUIST SMITH MARSHALL & KAGELS Timothy E. McMonagle
On behalf of Celotex
Maryland case only
Corporation
included in
WRIGHT & PARKS H. Emslie Parks
On behalf of
Philadelphia
Defendant Pacor
case only
Inc.
included in
RAWLE
Kevin
& HENDERSON F. Berry
On behalf of Party Defendant U. S. Government
included in Maine and Massachusetts cases only
Marianne B. Bowler Assistant U. S. Attorney
On behalf of the witness Willis Hazard
SECOR IDE & CALLAHAN
John J. Callahan
ATTORNEY
'
Stanley J. Levy
Andrew Berry
John P. Kelley
EXAMINATION 14 97
129
FURTHER EXAMINATION EXAMINATION 133
EXHIBITS
1-19
20 21 22 23 24
PAGE
-12 72 92 94
134
Whereupon Hazard Exhibits 1 through
19 were marked for identification
MR LEVY
Just some background
stipula- and then we can put on the record the
tions The depositions have been noticed by our firm in all cases pending in which
we represent the Plaintiffs in Maryland
Maine Massachusetts and Philadelphia
As you know there were protective
orders filed by Mr. Callahan on behalf of
both Mr. Hazard and Mr. Ames Our understand-
ing based on conversation with the judge's law clerk was that the motion with regard
to Mr. Hazard was granted and the provisions of the protective order obviously would
therefore apply Our further understanding
is that the motion with regard to Mr. Ames was denied in its entirety with a request
from the judge that he hoped that the parties
would afford Mr. Ames the same type of
courtesy and consideration as was applied to Mr. Hazard by way of the protective order
Prior to the commencement of the
a
oe
deposition we have had some discussion
between myself and counsel for Illinois
to a lesser extent counsel for Corning
in the hope of expediting the deposition by
resolving or facilitating the marking and
introduction of exhibits
I have asked the
Reporter and the Reporter has premarked some 19 exhibits which I intend to use during the
course of Mr. Hazard's deposition and these
have been marked sequentially
My understanding is that counsel for Illinois intends to offer some additional
documents and in order to facilitate the use of those because the ones I had marked are
in chronological order we have agreed that
the Illinois documents would be marked
with the same chronological sequence but where there is a gap say if my last document
was January 1st of 1944 and the next one is January 1st of 1945 and Illinois intendsintends
to produce documents in that time frame that
the documents will be marked with the same
number as the January 1944 document and then
lettered so that it will be possible for anybody to keep the documents in sequence and yet at the same time immediately be able
to determine whether they were introduced by
plaintiff or by somebody else such as Owens-
Illinois I believe that they will also be
premarked to facilitate and speed up the
deposition Also based on the discussion it's my_
understanding that the stipulations
will apply to these depositions in all the
jurisdictions First is that all objections
as to form will be preserved The second is
that if there are objections as to form by anybody they will be applicable to all other parties attending Our understanding further
is that the deposition will be signed by the
witness and that the signature will be in quadruplicate so there will be an original signature for each of the four jurisdictions
Further it is our intention to file
the depositions once they have been signed
or if they're not signed after the time limit
on
specified by the Federal Rules Our under-
standing is that the witness may sign before
|
any notary public
Further it is agreed that the exhibits
that have been marked will be turned over to |
|
the Court Reporter and that a complete set of
exhibits will be attached to and made a part
of the depositions
Furthermore everybodyI believe under-
stands that the question of the admissibility
of the documents is something that will be
reserved until the time of trial unless every-
body decides that they want to agree now to the admissibility but absent such an agree-
ment that's reserved
Now does that essentially state the
understanding of everyone Have I missed
anything or misstated anything
MR KELLEY
Could you identify
the documents before this deposition starts
MR LEVY
You want to go through
it Jack MR KELLEY
I believe you said you
intend to use 19 documents
MR LEVY
Yes
MR KELLEY
If you could just
read off the titles of those documents with
their number I would appreciate it so we
could get those documents from our file
MR LEVY
Hazard Exhibit 1 is
a document dated February 12 1943 addressed
to Dr. L. U. Gardner on the letterhead of
Illinois Glass Company and signed by
+ 1
U. E. Bowes Director of Research It consists consists
of two pages
Hazard Exhibit 2 is a letter dated
February 23 1943 addressed to Mr. U. E. Bowes Bowes Director of Research Illinois Glass
Company page document with a signature
block
of Leroy U.
Exhibit No.
Gardner M.D. Director
3 is a page document
addressed to Mr. U. E. Bowes Director of
Research Illinois Glass Company dated
March 12 1943 and a signature block of
Leroy U. Gardner M.D. Director Exhibit No. 4 is a letter dated May 31
1944 addressed to Mr. U. E. Bowes Director of Research Illinois Glass Company
Re Hydrous Calcium Silicate Animal Experi-
ments with a signature block of Leroy U.
Gardner M.D. Director Hazard Exhibit No. 5 is a letter dated
November 21 1944 addressed to Dr. Leroy U.
Gardner signed U. E. Bowes Director of
Research
Hazard Exhibit No. 6 is a document dated
October 30 1947 entitled Illinois Glass
Company Toledo Ohio Interim Report on Animal Inhalation Experiments with Kaylo It's a multi document
Hazard Exhibit No. 7 is a letter on the
Illinois Glass Company letterhead dated
September 21 1948 addressed to Dr. A. J.
Vorwald Saranac Laboratory signed by W. G. Hazard Industrial Relations Division
Hazard Exhibit No. 8 is a document
entitled Interim Report Regarding the Biologi-Biologi-
cal Activity of Kaylo Dust to the IllinoisIllinois Glass Company Toledo Ohio by The Saranac
10
Laboratory dated October 30 1948
Hazard Exhibit No. 9 is a letter dated
November 16 1948 to Mr. U. E. Bowes Owens-
Illinois Glass Company on the signature block of Arthur J. Vorwald M.D. Director consisting consisting
of three pages
Hazard Exhibit No. 10 is a multi document entitled Interim Report Regarding the Biological Activity of Kaylo Dust to the Illinois Glass Company by The Saranac
Laboratory dated April 30 1949
Hazard Exhibit 11 is entitled Interim
Report Regarding the Biological Activity of.
Kaylo Dust and this one is dated January 1
1950
Apparently I marked the same document
twice as Exhibits 12 and 13 dated June 1st
1950 addressed to W. G. Hazard Industrial Relations Division and a signature block of Arthur J. Vorwald M.D. Director
Exhibit 14 is a letter dated December
12 1950 to Dr. Arthur J. Vorwald from Mr. W. G. Hazard the Industrial Relations
Division one page
Hazard Exhibit 15 is a document entitled
Final Report Investigation Concerning the
Capacity of Inhaled Kaylo Dust to Injure the
Lung to the Illinois Glass Company by
The
Saranac Laboratory dated January 30 1952
Hazard Exhibit No. 16 is a letter dated
February 7 1952 addressed to Mr. W. G.
Hazard on a signature block of Arthur J.
Vorwald M.D. Director
Hazard Exhibit 17 is an intercompany
correspondence on the letterhead of OwensIllinois Glass Company dated November 21 1952 Attention of Mr. P. A. Gillis from
W. G. Hazard Hazard Exhibit No. 18 is another intra-
company correspondence on the Illinois
letterhead dated October 5 1955 Attention Mr. M. M. Olander and appears to be from
|
Mr. Hazard
And Exhibit 19 is a letter dated September September
8 1941 addressed to Mr. W. G. Hazard OwensIllinois Glass Company on a signature block
Corning Fiberglas Corporation Legal and
12
Patent Department On the lefthand side there
is a name C. G. Staelin
One other document which I am going to
ask the reporter to mark will be a Reprint
No. 1665 Public Health Service monograph
entitled Effects of the Inhalation of
Asbestos Dust on the Lungs of Asbestos Workers
Whereupon Hazard Exhibit 20 was marked
for identification
Are there any other preliminaries that
we should take up before Mr. Hazard is sworn
MR PARKS
For the purposes of
the record my name is H. Emslie Parks
I
want to make it clear I am here today repre-
senting Celotex Corporation and will be the
only attorney appearing
Corporation but I want
for the
the Celotex record to also
reflect that I am not entering my appearance-
Maryland in any case other than the
cases
MR KEVIN BERRY
I am entering my
for Pacor Inc. in the Philadelphia
appearance
cases only MR KELLEY
That is true also for
opvetc
13
John P. Kelley of Philadelphia Corning
Fiberglas Corporation MR CALLAHAN :
Have counsel agreed
as to the batting order
MR LEVY
The understanding Mr
Callahan we are going to start on your left
and just go around the table unless anybody
feels differently
MR KELLEY
For the record I am
also advised I am representing Corning |;
for the other jurisdictions in this deposition
MR CALLAHAN :
May I present Mr.
William Hazard
WILLIS HAZARD
was by me first duly sworn as hereinafter certified
deposed
and
said as follows
"
MR CALLAHAN
May we agree Ms.
Bowler and gentlemen that the time is 10:30
and that the first hour of the deposition would be recessed at approximately 11:20 for
a break
14
TION
BY MR LEVY
Q Mr. Hazard my name is Stanley Levy I repre-
sent a number of Plaintiffs in asbestos litigation in
various jurisdictions in the northeast I will be at least initially questioning
you during the deposition If during the course of the deposition in my questioning at any time you feel
that you would like to take a break if you would let
me know there would be no problem sir Also if at any time you have trouble understanding any of my
questions if you would just indicate that and I will try to correct the question to change it make sure
that there is no problem of understanding between the-
two of us all right sir
A.
Thank you May I just make a minor correc-
tion My name is Willis i rather than
e
William Mr. Hazard would you state for us your full
Q
name address and your date of birth
A. My name is Willis G. Hazard 3609 Mapleway Drive Toledo Ohio 43614 My date of birth is
April 27 1907
E
E
15
oN,
Could you trace for me sir your educational
background
A
I went to college at Harvard and I attended
the Graduate School at Harvard where I studied physics
and received an A.M.
And when was that sir
When did you graduate
from Harvard|
A.
1929
And after graduation and receiving your A.M.
degree did you immediately begin working
|
A.
Yes
Q
Could you trace for me your employment history
up until the time that you became associated with Owens-
Illinois
A. In the 1930's I was appointed an instructor
in the Harvard School of Public Health The purpose of
my being there was to work on a machine or device an instrument for recording the amount of dust in the
air of industrial plants This used certain principles
of physics and it was because I had studied physics
that I got this
|
During
job
that
I was there time did you
from also
1930 to 1934
do any teaching
A I did teaching in the last year and a half in
C
el 16
industrial hygiene
Q.
Did the machine that you were working with
have some name
A.
We called it a dust recorder
It was the
subject of two patents and it was written up in the
Journal of the Franklin Institute of Philadelphia which
is a technical journal
During the time you were at Harvard did you
take any courses or do any studying in the area of
industrial health
A.
No sir
I beg your pardon you mean when I
was an undergraduate or a graduate
Q
During the period of 1930 to 1934 while you
were an instructor
A
I see
I had the wrong period
I sat in on
some courseast the School of Public Health mostly in
industrial hygiene
a
Q
And after you left Harvard in 1934 what did
you do A.
I came to work for Illinois Glass Company Company
in Toledo Ohio
Q And for how long did you continue to work for
Illinois
{.
f)
|
LE
C
~
A.
Until 1974
Q
And was that forty years uninterrupted by
leaves of absence or other jobs
A
No.
From 1942 to '46 I was in the Public
Health Service of the United States during the war
years which was a militarized service
They had
Department of Industrial Hygiene because of the many
war plants that were operating then and I was assigned
to the State of New Jersey where there was much wartime
manufacturing activity
Q.
During the time you were with the Public
Health Service did you specialize in any particular
type of a job or any particular type of plants
A.
It was mostly in plants where there was some
exposure to dust but the dusts gasses fumes vapors
were all involved
Did you have any responsibility for any of
the asbestos manufacturing plants in New Jersey
A.
No direct responsibility and I can't recall
if I
wide
Q
visited any of them or not because I was in
variety of manufacturing operations
When you joined OwensIllinois in
1934
a
what
was
your
job
title
and
what
were
your
responsibilities
LP
(ob
18 1818
A
I was located in the Personnel Division of the
corporation an I wd as simply an industrial hygienist
Q
How many industrial hygienists were there at
that time
A.
I was the only one
Q
And to whom did you report
A
Well I've got to think back When I first
came to Toledo in 1934 the Legal Department of the
corporation had what they called a silicosis committee
on which was a lawyer a director of the Workmen's
Compensation Insurance Department and a person asso-
ciated with the Real Estate Department Well there
was sort of a screwy setup and it didn't last very
long a matter of a few months and then I reported to
| the Personnel Director of the corporation who was Mr.
M. M. Olander
_
a
And when you joined the company in 1934 what 19
duties did you have What was the purpose of your job
duties the A.
My first
were to visit
three sand
ST that the corporation had which supplied the
plants
T dusty * making operation with sand to see how
they
were and then after those trips were made and recom-
mendations for improvements were made I visited what
decre
19
they call the batch plants of the Glass Container Manufacturing Division to see how dusty the batch
. houses were
'
Q
How long did you continue to serve as an
industrial hygienist in the Personnel Division
A.
Directly in the Personnel Division it was 1934
to 1943 '42
Q
Until you left to go to the Public Health
Service
A.
_
Q
And then 1946 to the time I retired
During the perioudp until 1942 did you
I
I
I
I
continue to report to Mr. Olander or was there some 4
change in reporting structure
A.
No I continued to report to him
a did you
During this same period from 1934 to 1942 [|
become involved in any way with the development
of Kaylo by Illinois
A
The initial work on Kaylo was done while I
from Toledo in the Public Health Service but
was away
I knew that the product was being developed even though
I wasn't actively engaged in it or even in observing it
But when I got out of the Public Health Service then
I undertook to learn what Kaylo was all about
a
wea
CL 20
Q
But just so we have some time frames up until
the time that you left to go to the Public Health Service Service
you did not participate in any way in the development or in any aspect of the development of Kaylo
A
No I don't recall that I did in any way
Q
Did you know that work was going on to develop
a calcium silicate product containing asbestos during
that period of time
A I knew that after 1942.
I didn't know it in
the period you mentioned '34 to '42
a
So you learned about it some time while you
(
were serving in the Public Health Service
|
A.
Yes sir
Q
Up until the time that you returned to Owens-
Illinois in 1946 after your service in the Public
Health Service did you have any responsibility or did
you do anything at all in connection with asbestos
surveying asbestos products or
plants that manufactured
|
or used asbestos
A. You said '42 to '46
Q
Up until the time you went back to Owens-
|
Illinois in 1946
A.
I don't recall that I had any direct connection
(>
\_4
( 21
.
| So
with any plant producing asbestos products during that
period
Q
Did you prior to returning to Illinois
in 1946 become familiar in any way with the health
problems associated with the use of asbestos and asbestos
products
A.
Iknew the health problems connected with
asbestos because of my general background in industrial
hygiene and availability of reference work and things |
of that sort
|
Q
And would you tell us Mr. Hazard what your |
understanding was if you can recall back to that time
as to what the health hazards associated with asbestos
products were
A.
It was thought that breathing asbestos dust
| over a period of many years caused a change in the
tissue of the lung where oxygen is exchanged with the
i blood
It caused sort of a thickening of the tissue
which is demonstrable on chest rays It led conse-
quently to an increasing shortness of breath There
was no pain
There was no infection
There was no
demonstrable changes except for shortness of breath
often mild sometimes advanced
For example when a
G
G
C 22
person ran upstairs and on the ray there was a change change
Q
Had you reviewed any of the medical literature
that had been published in respective medical and
industrial health articles and journals during the
period prior to 1946 dealing with asbestos and health
A
Yes I had
Q
And did you feel that as part of your duties
that you had a responsibility to keep abreast of what
was going on in the health aspects of industrial hygiene hygiene
A.
Yes
I felt that I should keep abreast of
the general field of industrial hygiene which would
include asbestos
Q
And you were attempting to do that
A.
Yes
Asbestos however was quite different
from a silicate silicosis The danger with silicosis
is that a person gets pulmonary tuberculosis progresses progresses
fast and is very fast As with asbestos asbestos
Ste tres there is no likelihood of getting an infection of any-
ra
|
ATs
TA. thing or anything like TB
Q
Before you left Illinois in 1942 to go
to the Public Health Service did you have any contact
Foundation or any dealings with the Trudeau
at Saranac
Lake Tat
pt.
Pavers
Va
\_
S
C, 23
Se. A
As
they called
seems to me
I recall it I did because they had what
Saranac Symposium in the late 30's It
|
it was in the two or three successive years
where persons from all over the country who were involved involved
in this field of dust gathered to be brought up to date
and to pool their experiences
So I did know of the
symposium or the two or three that were conducted
matrecs before 1942
Q
Again prior to 1942 using that as a cutoff
date
were
a
you
aware
of
any
studies
that were
being
conducted by Saranac for Illinois
A
I don't believe so prior to 1942
|
Q
Let me digress for a minute Mr. Hazard
DO
you have any personal files that you brought with you
in response to the subpoena that was served on you
A.
Today
a
Yes
A
No sir
Do you have any personal files dealing with
the period of time that you were with Illinois
or dealing with Kaylo and with the asbestos and health
problems that are your own
MR CALLAHAN
In response to the
24
subpoena are you asking
MR LEVY
Yes
MR CALLAHAN
Yes we have some
papers MR LEVY
And they are here
MR CALLAHAN MR LEVY
Yes
Maybe during the break
I will take a look at them
Mr. Callahan then would have everything that
have been able to find in response to the subpoena
you
that was served
A
Yes that's right
a Prior to the deposition today have you given
testimony in any other asbestos cases by way
of deposition or by way of appearance at a trial
A.
a
No sir I have not
In preparation for the deposition today have
you met with anybody other than Mr. Callahan
A
Yes
Q
Could you tell us sir who you met with
A.
You are speaking of preparation for this depo-
i sition today
Q
I'am am going to break it down
I am going to
yar .
ask you to go beyond that later
But just in terms of
preparing for today's deposition have you met with - anybody else
A.
This gentleman two down from you I have met
with
MR ANDREW BERRY : Andrew Berry
Q
Anyone else besides Mr. Berry and Mr. Callahan
A.
I don't know just how to answer that because
on certain occasions another attorney would be present
|
None of them was directly involved in my appearance
here but they were in the room on occasion and I was
introducetd o them
They did not participate in discussing with
you what was likely to occur today
A.
I don't think they did This thing has been
going on you know for two years
a
Not with me Have you reviewed any documents
or files in preparing for the deposition today
A.
Yes
I have reviewed files and documents
Q
Could you take a look at these Mr. Hazard
and would you tell me if these are among the documents
that you have reviewed
These are the exhibits which
have been marked
A.
Exhibit No. 1 I reviewed before today in
preparation for this Exhibit No. 2 I have reviewed and No. 3. These four exhibits I did not receive a
copy of but I am reasonably sure that Mr. Bowes showed
me his file but I can't remember the date or the time
or anything else but I am pretty sure I saw them
Q
Mr. Bowes was the Director of Research for
Illinois
A.
Yes sir
In the same way I am sure I
reviewed No. 5.
No. 6 is an Interim Report of Saranac
Laboratory their animal experiment on Kaylo and I'm
sure that I saw that too
Q
Mr. Hazard there are really two questions
I am going to ask you
The first is whether you have
seen them in preparation for the deposition today and
the second will really relate to whether they were
company documents and whether you saw
coursoef your working But in going
them in
through
the them
now
would you just indicate whether you saw them within
the last few days in preparation for the deposition
A.
I don't believe I saw them in the last few
days I don't think I had my file in those last few
days
xm
oat
27
|
Q
Have you seen them say in the last four or
five or six months
A.
Oh I believe so
Q
Let me ask the question this way In going
through the exhibits would you just tell us if you've seen these documents say within the last three or
four months
A
I believe so
a
Why don't you finish taking a look at them
just to make sure because I haven't looked through all
| of them yet
A.
Exhibit 7 you know this is hard because I'm
sure I have seen all of these but some of this daily
correspondence stuff I don't know that I saw them
three or four months ago
I may have seen them 12 or
18 months ago but not three or four
Let's take your time frame within the last
year 18 months During the last year or two years
you have been asked at various times to review docu-
ments and to discuss with people from Corning
and Illinois your activities while you were work-
ing for Illinois haven't you
A
Yes I can say that's true
28
Q
And at various times you have been shown docu-
ments which you had an opportunity to review and to
'
look through
A.
Yes
Q
In the context of these various sessions where
you've had the opportunity to review the documents
what I would like you to do is just to let me know
whether these documents are among the ones that you
have had an opportunity to look through
A.
Well there is a series of interim reports
here and I am sure that I looked at those
a
You are referring to the interim reports from
Saranac
A.
Yes
I'm sure I looked at those and I think
I must have looked at most all the correspondence too
some time in the last year
a
Well would you take a minute because I would
rather you be sure
Look through all of them just so
you are familiar with all of them then and maybe I can ask you a general question and try to do it quickly
A - SSe venteen and 19 I don't know whether I
reviewed those in the last year or not
Q
Leaving aside Exhibits 17 and 19 for a minute
all the others you've had an opportunity to review
within the last 18 months or so
A.
Yes that's right
now And based on looking through them
and
the opportunity that you've had in the past to review
them were they all documents which you saw during the
time that you were working for Illinois
A.
Yes
0 And were they documents that were either
received by Illinois or sent by Illinois
in the regular course of its business
A.
Yes I would say so
0 And they were ones that under the normal
course of procedures for Illinois would have been kept and maintained by the company in the regular
course of its business
A.
Yes
which
NOW if we take 17 and 19
_
you say you
don't recall having seen in the last haven't seen you
18 months
If you look at those two are they also
documents that were received or kept or transmitted
by Illinois during the time that you were employed
by the company
30
A
. Yeah
Q
They also would have been documents that were
|; prepared maintained and kept in the regular course
of business by Illinois
A
Yes
Rncsenesen
a
I omitted to ask you Mr. Hazard have you
ever written or published any materials dealing with
industrial relations or health
A.
Yes
a
Have any of them dealt with Kaylo or the health
I
aspects of asbestos
A.
I don't think any of them dealt with the
health aspects of asbestos but some might have dealt
with Kaylo
8
.
Mr. Hazard we've used the expression Kaylo
Could you tell us what Kaylo is
A.
Chemically Kaylo was a hydrous calcium silicate
It was an artificial compound that is it was not
mined
It was made in two of our plants one in Berlin Berlin
New Jersey and one in Sayreville New Jersey
| It was
used first as a pipe covering insulating material
thermal insulation
Later it was used as a ceiling
tile such as you would put on the flat ceiling for
f
LC
=
decorative purposes or for insulation too
Q
And was it made in both a molded pipe covering
-
form and as a block
A.
Yes
a
And it contained asbestos
| A.
Yes Fifteen percent roughly
Q
And what was the purpose of the asbestos in
the Kaylo do you know sir
A.
It gave it strength
It kept it from crumbling
or cracking
or
cracking
It was a reinforcing material
It
Q
When you returned to Illinois in 1946
had Kaylo already been developed
A.
Yes it had
Had it already been marketed by that time
A.
That I don't know
Q
In the corporate structure that existed in
1946 was there a department or division that was
responsible for the sale or development and handling
of the Kaylo product
A.
Yes there was a division known as the
Structural Products Division I think it was which
handled Kaylo for a while and the company also made
glass block
for building construction use in Muncie
DA
C+
C 32
aa
Indiana and that was in this Structural Products
Division as I remember
But the Kaylo was manufactured only in Sayreville Sayreville
|
and Berlin
A.
Yes
a
At that time was the product developed with
the understanding that it was to be used or _ would be
used in the insulation work
=
A.
That was I think the original purpose of it
thermal insulation
a
And was it recognized that it would be used
aboard ships
A.
Yes
Did you personally participate in any testing
in connection with the development of Kaylo
A.
Such as product testing
Q
Such as if there were any compression tests
or bending tests or thermal tests or tests to determine
the dust release characteristics of the product any
tests along those lines during the development phase
of Kaylo
A
I don't remember participating in any such
tests but did make tests in each plant to see how
he
L
Spe :
(4
Ch 33
much dust there was in the air which had nothing to
do with the product really
Q
At both Sayreville and Berlin
A
Yes sir
When was the first time that you did what
should we call these dust collection tests or dust
monitoring tests
A.
Yes
It would be during 1946 because I wasn
with the company until 1946
Q
It would have been relatively soon after you
returned to the company
A.
Yes
I don't know how soon but it certainly
wouldn't be before that
Q
When you returned in 1946 what title did you
have
;
A.
I was a member of the Personnel Division I
didn't have a title
Well my field was industrial
hygiene but it wasn't a title as such
a
Were your duties and responsibilities the
same as you had before you left or were they different
in any way
A.
They were essentially the same
They were
expanded and much the same because the company had
=
S
(
expanded
Q
Were there any other industrial hygienists in
11946 other than yourself
A.
With Illinois
Q
Yes
A.
No.
Q
When you returned in 1946 were you still
reporting to Mr. Olander or had there been a change
in reporting structure
A.
No I think I was still reporting to Mr. Olander
a
And you were still within the Personnel Depart-
.
ment
A.
Yes sir
|
'
0
Could you just briefly trace for me your job
progression in terms of title changes or responsibility
changes from 1946 until you retired in 1974
A.
There was very little change in title There
was expansing of duties all within the field of industrial
hygiene We got interested in other aspects of the
working environment such as the heat and noise all
forms of air pollutants And the Personnel Division
at one point was named the Industrial Relations Divi-
at sion and the last two years I think it was I was
a
e
f
\
Cc 35
transferred from the Industrial Relations Division or
the Personnel Division whichever it was known as to
the Illinois Technical Center on Westwood Avenue
|
Q
In Toledo
A.
In Toledo
was concerned with
where they had the
outdoor pollution
department that
water pollution |
and air pollution The thing was I guess that it
activities would be logical to combine the pollution
for plant and plant as regards air pollution
As I have said several times my big problem
was originally dust inside the plant and then gasses
fumes and vapors that might be of health significance I think they thought that this work should be combined
with outdoor air pollution and that was the reason
they moved me to the Tech Center
Q
During the time from 1946 until you retired
did you do any work with regard to changing the composi
tion of Kaylo modifying the product or anything with
regard to elimination of asbestos from Kaylo
A
I did no work like that myself
Q You would not have been involved in the product product
change or product improvement end of the work
A.
Not directly
0
V1
CA 36
,
Q
.
Did you have any input make any recommenda-
tions or suggestions for changes in the product
A
Well there was talk of replacing asbestos
with glass fiber fiberglas but that was out of my
field
a
A
know
When did that kind of talk develop
I suppose in the early 50's
_
I really don't
I wasn't directly involved
I knew that there
was an effort made to make the substitution and of
course I was in favor of that because fiberglas is
harmless and asbestos is not
harmless
Q
As long as Illinois continued to manu-
facture Kaylo though it continued to use asbestos
is that correct
A.
I believe that's correct
ene
|
MR LEVY
I'm going to go into
_
a different area Do you want to take a break
because I would rather not start and then
just stop
Whereupon
a recess was held from 11:15
to 11:30
etme
| Mr. Hazard did there come a time after you
e returned to Illinois in 1946 when you learned
oe
e
--
--
C. 37
that Illinois had entered into an agreement with
The Saranac Laboratory to examine the health risks
associated with Kaylo
A
Yes
Q
Could you tell us sir how you came to learn
of the agreement with Saranac
A.
I think it was by reading correspondence a
copy of which is right here between the director of The Saranac Laboratory and Mr. Bowes who was our
Director of Research in Illinois
Q
Could you tell me sir by reference to the
exhibits which one you are referring to when you
pointed to the group of exhibits
A.
Exhibits No. 1 and 2
Q
And that's the letter from Mr. Bowes to Dr.
Gardner at Saranac dated February 12 1943 setting up
the type of experiments and program and Dr. Gardner's
response dated February 23 1943
A
Yes
Q
Was there a file that you were able to review
when you returned in 1946 that contained the informa-
tion correspondence dealing with the Saranac study
A
don't know
38
Q
Did you have discussions with Mr. Bowes about
the work that was being done at Saranac
A.
Yes
Q
And could you tell us sir what you were told
about the Saranac study by Mr. Bowes when you returned
A.
I don't remember what I was told
I did read
the file
Q
Was Exhibit 3 the letter of March 12th also
in the file
A
What did you ask me
Q
When you went through the file do you remember
reviewing this letter of March 12 1943 from Dr.
Gardner to Mr. Bowes
A.
I don't remember
a
You just don't remember one way or the other|;
A.
No.
Did you get yourself a copy of Mr. Bowes file
or did you just refer to his whenever you had a ques-
A
I referred to his
Q
After you returned in 1946 did you have some
duties or responsibilities with regard to the Saranac
oe
ee
ce study the study of Kaylo me,
es
Poe
--
d
39
d
A.
After I returned I became familiar with it
but the study had already been established
0
.
And did you receive copies of the various
interim reports that have been marked as exhibits and
get an opportunity to review them as they came in
A.
I had an opportunity to review them as they
came in
I don't know the answer to your first part
a
But you did review them
A
Yes
And did you also review the letters that were
sent by Dr. Vorwald in connection with the study such |
as the November 16 1948 letter which was marked as
Exhibit 9
A
I don't know
Q
In the November 16 1948 letter Exhibit 9
Mr. Hazard Dr. Vorwald states in the third full para-
graph During the 30 to 36 month period however
definite indication of tissue reaction appeared in the |
lungs of animals inhaling Kaylo dust and therefore I
regret to say our tentative conclusion quoted above
must be altered
In all animals sacrificed after more
than 30 months of exposure to Kaylo dust unmistakable
evidence of asbestosis has developed showing that Kaylo Kaylo
Van
=
( 40 1
on inhalation is capable of producing asbestosis and
must
be
regardeads
a
potentially hazardous
material
sl
Did you learn of that conclusion by Dr. Vorwald some
time in or around November 1948
A
Yes I did
Q
And in the same letter Dr. Vorwald makes a
suggestion about a safety program Do you know whether
anything was done by Illinois at that time with
regard to developing a safety program dealing with the
sale and marketing of Kaylo
A.
Where is that suggestion
a
The last paragraph says As these findings
have not yet been released for publication I request
that while using them as required in formulating a safety program you regard them as confidential I'm
sorry the last paragraph on page 1
A.
Yes I see what you mean
|
a DidIllinois undertake any safety program | .
at that time with regard to the users of Kaylo
A
I don't know
men Q
Was there any discussion at that time by
ops Illinois to eliminate asbestos from Kaylo
a:
-c A. No I don't think there was I mentioned
Lf? Cp
NN
earlier that I had in mind in our batch house where
raw asbestos was handled not in the product
a
In terms of potential --
MR KELLEY
I would object and
ask that
with the
the witness be permitted to continue |
answer which he was interrupted in
giving
A.
Well I had in mind the control of asbestos
2a dust in the batch house of our batch house where raw
asbestos is weighed and mixed not in the finished
\
product
Q
Following Dr. Vorwald's letter in November of
1948 did Illinois do anything to eliminate
i asbestos from Kaylo
A.
No I don't think so
a
Following Dr. Vorwald's letter in November of
1948 did Illinois issue any warnings to customers
or users of Kaylo
A.
No.
0
_
Q
If you would look at the letter of June 1st
1950 which has been marked as Exhibit 12 and 13.
Do
you have that sir
In June of 1950 or within a few months of
C
C
C 42
( receipt of Dr. Vorwald's letter to you dated June 1st
1950 do you know whether Illinois conducted any studies or made any effort at that time to remove
asbestos from Kaylo
A.
No I don't know
Q
You don't know of any
A.
No.
a
Did Illinois at that time issue any
warnings to customers or to users of Kaylo concerning
the dangers of asbestos as contained in the Kaylo
product
A.
No we did not
There was no danger to the
user
Q
Did you issue any warning to any of the users
A.
No there was no reason to
.
a
Well whether you believe there was or there
wasn't after you received Dr. Vorwald's report you
did not issue any warning did you
A
No.
Q
Now if you would refer to the letter of
February 7 1952 transmitting the final report and
in the letter Dr. Vorwald states in the second para-
es
ere graph The results of the investigations with animals
a Sem
rens
cde
C eee
Duet
ae
,
c 43
show that Kaylo dust is capable of producing a peri-
bronchiolar fibrosis typical of asbestosis Did you
ti: see that sir
A
Yes
And you received this letter didn't you
A.
Yes
a
Now at any time in February of 1952 or after
you received Dr. Vorwald's letter and the final report
did Illinois undertake any program to eliminate
asbestos from Kaylo
A.
I don't know
Q
You don't know of any
A.
No.
Q
Did Illinois at that time in 1952 issue
any warnings to customers or users of Kaylo concerning
the additives of asbestos
Q _ At any time prior to the sale of the Kaylo line to Corning did Illinois ever issue any warnings to users or customers of Kaylo concerning the dangers of asbestos
A.
No.
Did you during the period from 1948 to 1952
44
when you received the letters from Dr. Vorwald and the
studies both the interim and the final studies pass
those studies along Mr. Bowes
A.
Would you repeat that please
a
Yes
Did you pass along to Mr. Bowes the
results of the studies the interim and the final
studies conducted by Saranac as well as Dr. Vorwald's
letters to Mr. Bowes
A.
Q
A.
-
Q
I don't know
You have no recollection of having done that
|
No.
Do you have a recollection of passing along
the actual documents the Vorwald letters and the
reports to any of the people at the Berlin Plant or
at the Sayreville Plant
A.
I have no recollection of that
|
a
Did you ever discuss the studies and the
letters from Dr. Vorwald with Dr. Shook
A
I think I did but I'm not sure when Dr. Shook Shok
came as our Medical Director
I don't have the date
right in mind
a
What is your best recollection say within
six monthos r so
45
A.
1947 something like that I think
Q
You have no recollection of whether the studies
were passed along to Dr. Shook to read and review
|
A.
I have no recollectioonf that
Q
Other than you and Dr. Shook was there any-
body else at Illinois who was in the general area
of medical and industrial hygiene
A.
Nobody in industrial hygiene and nobody directly .
in industrial medicine except Dr. Shook
_
Q
By the way this time period in the late 40's 7
early 50's did Illinois have a medical library
A.
Dr. Shook had some volumes of medical journals
if that's what you mean
There was no big library
Q
You continued did you not the practice you
described earlier of trying to keep up to date with
the medical literature that was developing in the
industrial hygiene area
A
.
Yes
Q
And I assume you did that with particular
emphasis on silicosis
A.
Yes
Q
And did you also do it with emphasis on
asbestos
Md
46
A
On all possibly toxic materials that people in
our plant might use
Q
So would it be fair to say that during this
period from '46 to the 50's as part of your duties
and your responsibilities you were attempting to the
best of your ability to keep abreast of all of the
health and medical literature dealing with asbestos
and its relation to health
A.
And other toxic products too
Q
But at least for the purposes of this litiga-
tion you were doing it with regard to asbestos
A.
Yes
Q
And do you know whether Dr. Shook was also
trying to keep abreast of the medical developments
dealing with asbestos
A
I don't know
knowing Q
Would you assume that he was
Dr.
Shook.
A.
Yes
a
Now in 1953 there was an agreement entered
into between Illinois and Corning dealing
with the distribution of Kaylo Were you familiar with
that gener^lly
f?
=
C 47 <=
:
A.
Not very familiar no sir
Q
Did you know that there was some type of
ff: distribution agreement between the two companies deal-
ing with Kaylo
A.
Not at that time
Q
When did you learn of it
A
In later years
Q
By later you are talking about post
A.
No I mean towards the end of the 1950's
Q
But at least in the early 1950's '53 14 5
your recollection is that you did not know that Owens-
(
Corning was distributing Kaylo for Illinois
A
At that period you are correct
By the way was there some type of working
agreement or relationship between you while you were
employed by Illinois and personnel at Owens-
Corning
A.
No. We didn't hobnob with those guys at all
Did they ever ask you for any help in con-
nection with any industrial hygiene problems that they
might be experiencing in their facilities
A
Well in years before this they asked me to
visit their plant where they made fiberglas
which was
L?
(4
ch 48
in Newark Ohio on more of a social visit than a
working visit but I did visit them and talked to their
|. plant people That's the only direct contact I can
recall
Did you ever do any dust counting dust
monitoring for Corning
A.
No sir
Q
Did anybody from Corning go along with
_
you when you did dust monitoring at Illinois
|
plants to see how you were doing it to learn the
procedures or anything like that
A.
I don't remember that anybody did
Q
Do you have any recollection prior to the time
of the negotiations leading to the sale of the Kaylo
Division to Corning discussing with anyone at
Corning the Saranac studoyr any of the conclu-
sions that Dr. Vorwald had reached
A
I don't remember that I did Maybe someone
else did
Q
|
Just dealing with you
A.
No.
Q
You have no recollection
A.
N^
( 4
C
49
49
Q
Now you are familiar with the fact that the
Kaylo Division was sold to Corning in May of 1958
A.
Yes sir
a
And you knew about that during the time that
the sale was being consummated and the transfer occurred
A.
I don't remember when I knew it
1958 stands
out when the final thing was accomplished
a
Did you at any time tell anybody from Owens-
Corning about the Saranac study dealing with Kaylo
A
I don't remember
Q
Do you remember if there was someone who you
would consider a counterpart at Corning someone
that you may have dealt with or discussed industrial
hygiene problems at Corning
A.
At what period
During 1958
A.
I don't remember that
Q
Did you maintain a file dealing with the
Saranac study the letters from Dr. Vorwald and the
reports
A.
.
Q
Yes
And when the Kaylo Division was sold to Owens-
Corning what happened to your file
Ye
OO
50
A
The last day that they were part of Owens-
Illinois we got some corrugated paper cartons unloaded
tT our file cabinet called the janitor at the end of the
afternoon and had them carried over to Corning
Is this as a result of some instruction or
memorandum or directive generally to transfer documents
dealing with Kaylo to Corning
A.
I don't remember whether it was or not
I know
we did that
a
You did do it
.
A.
Yes
Q
And in addition to your files were other files files
also turned over to Corning at that time
MR KELLEY
Object
A.
Yes
Qa -
What other
files
were turned
|
over to
Owens-
Corning that you know of
A
I don't know what they were I don't know
what files went over
I know ours did
a
And that would include the documents that have
been marked today
A.
I don't know whether all of those documents
were in that file or not but we sent over material
Ld
C
51
relating to the Saranac work
Would that have at least included the various
- l.reports the interim and final reports and Dr. Vorwald's
transmittal letters
MR KELLEY
Object
A.
I know the Saranac reports went over I don't
know how much of the correspondence was in that file
Q
And just so I am sure Mr. Hazard you have
no recollection of talking to anyone at Corning
about the Saranac study or calling specifically to the
Corning people the information and the results
that you had gotten from Dr. Vorwald
A.
I have no recollection of talking about it
It does come back to me that the reports went over so
that there was no further need to discuss it
Q
Just so I can break down the distinction
between the oral and the written you are saying that
you are sure that the reports and the material in your
file was put into this carton and taken over to Owens-
Corning right
A.
Yes
a
And as far as verbal communication you have
no recollection at this time that you yourself spoke
_
57
52
to anyone at Corning about the Saranac studies
at the time of the transfer of the Kaylo Division to
{Corning
A.
I have no recollectioonf that
If I could ask you for a moment to look at
Exhibits 19 and 20. This is the letter addressed to
you from the Legal and Patent Department sending along
two publications in September of 1941. You've had an opportunity to look at the letter have you not sir
A.
Yes
a
And Exhibit 20 the Public Health Service
Report is that the report that was referred to or one
of the two reports that's referred to in the letter of
September 8 1941 from Corning returning two
reports to you
Let me rephrase the question The letter Exhibit 19 refers to a report that Mr. Ames asked to
return to you entitled the Effects of the Inhalation of Asbestos Dust on the Lungs Asbestos Workers Do
you see that sir
A.
Yes
Q
And Exhibit 20 is a document entitled Effect
of the Inhalation of Asbestos Dust on the Lungs the
53
Asbestos Worker
A.
Yes
Q
Is Exhibit 21 one of the two reports that is
referred to in Exhibit 19 as being returned to you
A.
Yes
Q
Now is this report the Lanza report on the
effects of the inhalation of asbestos dust a report
that you required yourself because of your interest
and desire to keep abreast of what was going on in the
industrial health field with regard to asbestos
A.
mo
Yes
|
Ames Q
And did you have any discussions with Mr.
|
in 1941 if you can recall as to why he was asking
you to provide him with copies of Exhibit 20 and the
other publication that's referred to in the September
|
8th letter
A.
Why Mr. Staelin was returning this to me
Why Mr. Staelin was returning it or why Mr.
_
Ames might have asked you to give him copies of the
reports
A.
No I don't know what prompted his request
Q
Did you ever have any discussions with either
Mr. Staelin or Mr. Ames or anyone else at Corning
54
in 1941 as to their interest in asbestos and health
A.
Mr. Staelin and Ames
a
Or anyone else at Corning
A
I don't remember anyone in Corning I
think it's likely probably that I talked to Mr. Ames
Q
Is he someone that at various times in the 40's 40's
and 50's you would have dealt with at Corning
A.
Q
A.
Ames
|
Yes
I don't think so
occasion to it
I don't think there was
Did you at any time in the early 1940's become
aware of a campaign by Corning to invade the
contracting market with their fiberglas products
MR KELLEY
Objection
A
You are asking me
Q
Yes
A. . No.
At any point Mr. Hazard in the late 1940's
or 1950's did you become involved in any project to
prepare a brochure dealing with the health aspects of
_ Kaylo
A
Not directly
55
Q
By that you became involved in some way
indirectly in such a project
A.
I had knowledge that this was under discussion
Would you tell us sir your understanding of
what the nature of this project was how it developed
and what it was supposed to do
A
think think it was for general distribution to
anybody who was interested
Q
That included customers contractors ship-
yards anyone who would use Kaylo
A.
I think so
And what led to this project to develop a
brochure dealing with the health aspects of Kaylo
A.
Well the Saranac experiments were a pretty
massive undertaking and I think the persons in the
Kaylo work at that time thought that they were worth
|
| publishing
Q.
In addition to you who else was involved in
_
the Kaylo brochure project
A.
I don't know
Was Dr. Shook
A.
I don't know
I think he might have been
asked to review a draft but I don't think he was
56
involved in organizing it
Q
Would you take
1. The letter is signed by
a look at Exhibit 14 Mr. you is that correct
Hazard
Hazard
A.
Yes it is
a
By the way I believe the copy of the letter
that you have has some handwritten marks on the right
side which are very poor to read
A
Yes
By any chance are you able to read them tell
us who wrote them and what they say
A.
I can't read them except the last two lines
Within five years I think it is or within five
men
Q
It's men not years
The letter was written by you was it not
A. a
Yes sir
And it indicates a copy to Dr. Shook
A.
Yes
Q - Would that help refresh your recollection as
to whether Dr. Shook was also involved in the brochure
project
A
Well as I said I don't think he was directly
involved in drawing it up but I'm sure he would have
been asked to review it
57
The notes on the side if I can go back to them
for a minute were they written by you
A
I don't know
in Q
Was a brochure such as is discussed
the
December 12 1950 letter was it ever prepared
A
I think a draft of it was prepared but what-
ever happened to it I don't know
ee
Q
Was abrochur wie th the health aspects
of Kaylo ever circulated or made available to users of
Kaylo
~
A
.
I don't know
a
You don't know whether it was or it wasn't
A
I don't know whether it was or wasn't yes
Q
At this time frame from 1946 to 1950's
the sale of the Kaylo Division to Corning you were aware were you not that Kaylo was being sold to
shipyards
A.
. Yes
And it was being used in connection with the
construction of new ships as well as in the repair of
existing ships
A
Yes
Q
During the course of this ten year or so
58
period from your return until the time of the sale of the division did you ever visit any shipyards
A
I don't remember
see Q
Let me run through a list for you and
if
you recall any of them
A
I might say there wasa New York Shipyard in
New Jersey and there is a Camden Shipyard and I have
been in those as a visitor unrelated to Kaylo and I
don't remember what the year was
It was like a sight-
seeing trip
a
How about in Maine Massachusetts
|
A.
No.
Q
Pennsylvania or Maryland
A.
No.
Q.
None of those
A.
No.
construction Q
Did you ever visit any plants or
i sites where Kaylo was being used
A.
Not that I remember
You mean outdoor con-
|
struction
Q
Outdoor construction
A
a
LT
2
on
a
No.
Did you ever visit any power plants or industrial
|
x)
e
facilities where Kaylo was being used
/|
Le
59
A.
No.
Q
Do you have any recollection of at any time
|
participating in any monitoring studies dust
collection studies anything of that nature where
Kaylo was being used to determine any of the properties
of Kaylo
was A.
I have a recollection of one plant but that
their own plant
It was not a customer's plant and I
don't remember being in any customer's plant
Q
Just so I can eliminate everything your best
recollection then is that at no time did you visit any
shipyard any construction site or any plant where
Kaylo was being used for the purpose of determining
|
anything
about
the
dust
release
characteristics
or
the
|
)
|
properties of Kaylo
|
i
A.
No.
you Q But _
do have a recollection of on one
occasion visiting one of Illinois own plants
where Kaylo was being used
A
No I misled you
I visited it several times
not just one time
Q
And what was the purpose of the visits to
--
--
pom
Illinois own plants where Kaylo was being used
A
To see that the work environment was safe from
|health standpoint
Q
Now were you looking at the manufacturing
end of Kaylo or how Kaylo was being used as a finished
product
A.
The manufacturing end of Kaylo
Q
How about the finished aspect of it
did you ever as an industrial hygienist do any studies
anywhere to determine what would happen when Kaylo was
being used as a finished product to see how much dust
was released or anything along those lines
A.
In a customer's operation you mean
a
You did do it
A.
No. You mean in a customer's operation
Q
In operation either yours or a customer's
A. Well we studied our operation It was not
necessary to go into a customer's operation
Q
Just so you and I are together I am talking
not
was
about the manufacturing putting the Kaylo up on
end but where a worker
a pipe or using the finished
product for insulation purposes
A.
No.
C
Cl.
Q
At any time did you participate in the prepara-
tion of any advertising material or any brochures or
|
t+. any product specification information that was disseminated to customers of Illinois that were
using Kaylo
A.
No I don't remember doing anything like that
a
You were never asked to review it or look at
it to see if it was okay or passed review from an
industrial hygiene point of view
A.
No.
Q
Did you ever make any suggestions or recom-
mendations to your superiors at Illinois suggest
ing that a warning be put on Kaylo a health warning
A.
No sir
[anneal
.
Q
Did you ever make any recommendations or sug-
gestions to anyone at Illinois suggesting that
Kaylo be taken off the market because of its health
aspects
A.
No.
Q
Did you ever in any way participate in any
discussions at all dealing with the advisability of
putting a warning on packages of Kaylo
A
No.
62
Q
Did you at any time visit the Berlin or the
Sayreville Plants and see the asbestos bags that were
t:
purchased
by
Illinois
for
use
in
the
manufacture
of Kaylo
'
A.
Yes
Did you ever see a warning on any of the bags
of asbestos that were shipped to Illinois
A.
I don't remember that I did
Q
By the way you said at one point there was
approximately 15 percent asbestos in Kaylo What type
of asbestos was it
A
It was chrysotile principally I believe
Maybe a little amosite
Q
And do you know who the main supplier of the
chrysotile asbestos was
A.
No I don't
Q
Or the amosite
A
Q
No.
_
Did you have an industrial hygienist for Owens-
Illinois and limiting myself to the period prior to
the sale of the Kaylo Division did you have any dis-
cussions with any manufacturers of asbestos products
concernitnhge health problems or health aspects of
63
asbestos
A.
No.
|
And that would include Manville or
|
UNARCO or any companies like that that dealt with
|
asbestos products _
A.
You mean discussions between me and Johns-
Manville and me and UNARCO
a
Right
A.
No.
Q
Did you ever attend any meetings of any trade
i
associations dealing with
such as the Industrial Hygiene asbestos and health problems
Foundation
|
A.
The term trade association I think doesn't
apply to the -- you mean Industrial Hygiene Foundation
t 1
Pittsburgh
Q
Yes
A =5>'6sTs- hat's a technical organization nothing to )
do with trade But to get back to your question did
asbestos I have any discussions with them on
Q
Dealing with asbestos and health
A
I can't answer that because I attended lots
of their annual meetings
As that goes at some of those those
asbestos and asbestosis was discussed It's just possible possible
--
--
64
that I did
a
Which associations did you attend
A
Besides the Industrial Hygiene Foundation
Right
A.
National Safety Council annual meeting the
American Industrial Hygiene Association annual meeting
some meetings of the American Standards Association
and I guess those were the principal ones some local
section meetings also with some of those main groups
Q
And if I understand what you have testified
to at different times these associations may have had
discussions dealing with asbestos and health but you
really have no recollection at the present time one
way or the other
A. That's correct
How about with regartdo the Industrial
attending Hygiene Foundation do you recall
any meet-
ings of the IHF at which asbestos and health were
discussed
A.
I attended lots of annual meetings of IHF
I don't recall their papers on asbestos if they had
them
I just don't recall that detail Were you an individual member of IHF or was
[?
/
Gi 65
bee
Illinois a corporate member
A.
Illinois was a corporate member They
4.
don't
have
individual
members
Q
I assume as a corporate member the company
received the IHF digest
A.
Yes
Q
Did you receive the IHF digest
A
Yes
a
How about Dr. Shook
A.
I don't know
I doubt it
|
So it would have followed right into you
directly
A
Yes
And would you circulate it to anyone
A. Yes Yes
Who would you circulate copies to
A.
If it was something that Dr. Shook would be
interested in I would circulate it to him They have
abstracts on safety topics
If there was something
that our corporate safety director might be interested in I would circulate it to him Anyone who might be
involved in one of the subjects
Q
You would go through each month's issue as it
C
C
66
comes in to see if there were abstracts of new publications dealing with the dusts that you were interested
in
A.
Yes
That was one of the main contributions that
the IHF digest served was it not to provide for an
early dissemination of the abstracts of new medical
studies
A.
Medical engineering chemical toxicological
and safety to a limited extent
o
;
:
MR LEVY
It's 12:25
Do you
want to stop or go forward
I don't want to
push Mr. Hazard
MR CALLAHAN
How long do you intend
to go at this point
MR LEVY
.
My guess is I have
somewhere between a half an hour and 45 minutes
|
the way things have been going
MR CALLAHAN
I would suggest we
recess at this point
MR LEVY
Could I during the
lunch break look at the documents that Mr.
Hazard brought
en!
67
MR CALLAHAN
MR LEVY
Yes
Shall we plan then
about 1:30 MR CALLAHAN
That's agreeable
Whereupon a recess was held from
12:25 to 1:30
MR LEVY
If we're ready to
begin During the lunch break I have had an
opportunity to review the material that Mr. Hazard produced in response to the subpoena
The documents were produced by Mr. Callahan
in response to the individual items in the
subpoena and what I have told Mr. Callahan
is that there are three items that I do intend
to mark before the deposition is finished
One is the printed copy of the Schepers
report second is the communications between
Mr. Hazard and Illinois concerning the
consulting agreement and the third is the
curriculum vitae
As far as the other documents that were
produced I do not intend to mark them although I have asked Mr. Callahan to make
68
arrangements to have them copied for me but
not as a Callahan
part
also
of the deposition
produced a box of
exhibits note cards
Mr
which contain notes for speeches that Mr.
Hazard has given at various times I have gone through them and I don't intend to mark
the box of cards or any individual cards
unless something comes up during the course of the testimony this afternoon where I might
want to refer to some
Mr. Callahan has provided us with a book
SN
which contains most of the documents which
a
have been marked as well as others that have
been produced by various defendants and not marked My understanding is they were
essentially supplied by Illinois to Mr.
Hazard and I do not intend to mark the book So if anybody feels differently they can do
what they want to but that's the way I would
go forward
MR KELLEY
Just for the record
even if the documents aren't marked we would
like copies of everything you refer to
oe he
me
69
MR LEVY
You mean all of the
cards MR KELLEY MR LEVY
No not all the cards
-
Anything that I am
copying you want a copy of
MR KELLEY
Right
.
MR LEVY
Maybe we should put
it negatively Is there anybody who doesn't
want a copy of everything that's being
copied for me I guess everybody wants a
-
copy
BY MR LEVY
a
Mr. Hazard going back to the Saranac study
of Kaylo that we talked about this morning
In con-
7
nection with your activities did you at various times
communicate with Dr. Vorwald and other people at
Saranac concerning the Kaylo material that was being
sent to them in connection with the study
A.
I don't understand what you mean by in con-
nection with the Kaylo material
a
The Saranac study was a study of Kaylo was
it not
A
Yes
C
|
(? 70
S*
>
-
Q
As distinguished from on the one hand raw
asbestos and on the other hand calcium silicate
A.
Yes
So it was the finished product so to speak
A
Yes
And at various times did you have some -
munications with them in which you either had assured
them that they were getting the finished Kaylo product
for the studies
A
I don't know
Q
Let me show you another letter then that has
not yet been marked a document dated March 7 1950
and I would ask the Reporter to mark it please
It
would be Exhibit 11D
That's a letter that you prepared
and signed and sent to Mrs. Blinn at The Saranac
Laboratory
A.
Yes
Q
And if I could call your attention to the
|
|
fourth paragraph does that describe the procedure for
selecting the Kaylo dust that was sent to Saranac for
the study
A.
Yes
a
So essentially the dust came from the Berlin
Cy
(? 71
Plant and it was dust that had been collected after
the slabs of Kaylo had been planed and sawed
A.
Yes
Q
In the documents that you produced for us
today in response to the subpoena there was a copy
of an article by Dr. Schepers
Do you see that sir
A.
Yes
Q
And could you tell us sir whether you
received a copy of Dr. Schepers printed report some
time in or around 1955 when it was published
A.
You mean this report
Q
Yes
A.
I received a copy of the original journal
that this was published in just routinely because I
subscribed to it
Q
Did you then make copies and distribute it to
other people at Illinois
A.
I don't remember
But you did make your own copy
A
You mean this one here
a
Yes
A.
I don't know I don't think Well I just
don't know
The reason I am hesitating this type of
72
photocopy was not made as I remember it on the machine machine
that we had
But maybe it was later I don't know
Q
There are some handwritten notes in the upper
righthand corner Were those made by you
A.
They look as though they were
Would you be able to indicate for us the time
when you wrote those notes on the copy
A.
January 3 1980
Q
And prior to that you did not write anything
on the copy
A.
No I'don't think I did
Somebody else wrote
this reference down at the bottom in longhand
a
Do you know who
A.
No.
MR LEVY
Could we mark this
copy as the next exhibit please
Whereupon Hazard Exhibit 21 was marked
t
for identification
Q
Dr. Schepers who is the author of the published
|
article which we have marked as Exhibit 21 was the
head of The Saranac Laboratory
A.
Yes
And he had succeeded Dr. Vorwald
a
CC) 73
A.
Yes I believe so
Q
And the paper is p a ubli res porh t oe f td he
fI indings of The Saranac Laboratory in connection with
the Kaylo study
A.
Yes
Q
And even though it does not
refer
Kaylo
by name or to Illinois by name it is dealing
with the Kaylo study is it not
~
A.
Yes it is
F
a
Did you have any discussions with Dr. Schepers 78
yourself before the article was published concerning
the work that had been done by Dr. Gardner or by Dr.
Vorwald in connection with the Kaylo study
A.
The only discussion that I remember was that
we were encouraging Dr. Schepers to publish this thing
There was a great delay into getting it into print
Q
And this was the result in part of wanting
to get it published and Dr. Schepers finishing the job
that Dr. Vorwald had started
A.
In part that way
I think eventually with-
out our encouragement they would have published it any
how but it was a long delay
Q
Now you had mentioned earlier that you had
attended some of the Saranac Symposiums before you went into the Public Health Service in the 40's Did you
T- continue to attend the Saranac Symposiums afterwards
A.
Yes
0
And in particular did you attend the seventh
Saranac Symposium in 1952 That's the one at which
Dr. Huper spoke in connection with industrial
occupational health problems
A.
Well I am not sure of that particular one
I do know that I attended most of them after the war
years
Q
Did you attend as a listener and observer
or did you attend as a speaker
A
Listener and observer
Q
To your knowledge Mr. Hazard were the minutes
of the seventh symposium ever published
A.
I think they were I think that the minutes
of each symposium were published
Q
Did you receive copies of them
A.
I think I did
And were they kept by you at Illinois
A.
Yes
Q
Did you have them in your files when you
retired in 1974
A.
I don't remember
a library
By the time you or an industrial
retired
hygiene
in 1974 had medical
|
|
library been set up
A
At Illinois
!
a
At Illinois right
\
A.
There were some volumes in that field that had
been gathered through the years Library is a pretty |
big word I don't think it was very much of a library
It was a small collection of books
Q
If you were going to try to give us an estimate
of how many books what would you put the range at
A.
That's a pretty hard question to answer First
of all because I never counted the books although
they
many
were catalogued and second years ago to recall what the
because that's a good
!
shelf looked like
!
Q
Well would we be talking of something in the |
hundreds
|
;
A.
Not over a hundred certainly
'
Were the minutes of the Saranac Symposiums
put into the library
A.
Yes
a
Q
Do you know sir whether Illinois
76
continues to maintain such a library
A
No.
I have been away seven years and I
haven't been back where these books were kept when I
was there since and I don't know where they're kept
or how many are kept
We talked for a few minutes this morning
about the Industrial Hygiene Foundation Have you
served as an officer of the Industrial Hygiene Founda-
tion
A.
Not as an officer
In fact they have a
director
'
He's member of the staff of the Industrial !
Foundation They don't have officers in the sense of
president president treasurer that sort of
thing
It's run by the director who is a member of
the staff of the Industrial Health Foundation
Have you held any position which would give
you some say in how the organizatioins run such as
being on the board of trustees if they had one on the
board of governors or holding some position that
would put you into the mainstream of the organization
A.
I was on the engineering committee and Owens-
Illinois was a member of the foundation and I repre-
sented Illinois at some meetings with the trustees
77
of the foundation
Q
Did Illinois always serve on the board
- of trustees of IHF going back at least to 1936
A.
Not always I don't believe
n
They did go back
A.
In the early years which was about 1936 they
were on the board of trustees
a
Did you know or is the name F. W. Sherwood
familiar to you
A
No.
i t
a
Do you remember Mr. Sherwood as being a vice-
(
president of Illinois Glass in the 1930's
A.
It was Abbott W. Sherwood
Q
Abbott
A
Yes
Q
Was he active in the Industrial Hygiene
Foundation
A.
_
I think he was on the board of trustees in
the early days
a
For a long period of time
A
Not too long a time a few years
How long
A
Three or four years
78
Q
During the time that you served on the board
of trustees or you attended board of trustee meetings
|:
of IHF was Manville also a member of the board
of trustees
A.
I think they were
I think they were sponsors
I mean sponsor of the foundation I think
Q
How about Pittsburgh Corning
A.
They may have been but I'm not sure of them
either
Q
Can you recall any other manufactur-
ing firms that were on the board of directors of the
Industrial Hygiene Foundation
A
Pittsburgh Corning is not an asbestos
supplier are they
Q.
We may argue that but at times I would con-
sider them an asbestos supplier
A.
That's a new slant for me on them
No I
don't know whether they were members I wouldn't say
there were none
Chances are there were some
Q
Did you ever attend any meetings or confer-
|
|
ences sponsorebdy the United States Government or
the Maritime Commission which dealt with asbestos and
health
79
A.
I don't remember
wo}
a
Did you ever participate in meetings which
f. Corning sponsored dealing with shipyard safety
A.
I don't think so but I don't remember fully
a not
Your best recollection today is that you did
A.
I did not yes
Q
I had also asked you this morning about con-
tacts with other asbestos manufacturers
Did you have
any dealings with Paige Woodard of Manville
Corporation
A.
I don't remember that name
I remember Johns
Manville of course but not Paige Woodard
a
Or Charles Hite of Manville
= A. =
I don't remember him
Q
Did you have any dealings with anyone from
Pittsburgh Corning so as far as asbestos and health
was concerned
A
I don't believe I did
It seems to me -- well
I don't believe I did
Q
Are you familiar with a visit by Dr. Shook
to Manville and any discussion between Dr. Shook
and representatives of Manville concerning the
80
packing and shipping of asbestos in the bag creating
dust when the bags were opened
A
I don't remember that
T
Q
At any time in connection with your activities |
as industrial hygienist for Illinois have you
conducted any studies as to the effectiveness of
respirators
A.
No sir
Q
Have you done any studies or reviews of
medical literature concerning the effectiveness of
respirators
A.
I wouldn't call it medical literature
I would
call it industrial hygiene literature or engineering
literature
Q
To your knowledge has Illinois ever
conducted any studies of the effectiveness of respirators
when used with regard to Kaylo !
A.
No we didn't have to
Q
You did not
A.
No. We used only approved respirators approved
by the U. S. Bureau of Mines
Q
You never conducted any studies yourself to
see whether the respirators were effective or whether
ed
--
Ps
--
C as
81
they kept the dust out or what type of protection they
to the workers insofar as the activities of Owensgave
Illinois itselifs concerned
A.
No.
a
In connection with your work for Illinois
Illinois Illinois
.
did you ever do any dust monitoring or dust studies
of the Sayreville or Berlin Plants during the time that
they were producing Kaylo for Illinois
A.
Yes
And is that something that fell within your
general area of responsibility
A.
Yes
Q
Now did you select the places within the
plant where the dust collections would be done
A.
You mean the air samples
Q
The air sampling right
A
Yes
0
Was air sampling conducted at the storage or
warehouse area where the raw materials came into the
plants
A.
Yes
Q And was the air sampling also conducted at
the point where the asbestos and the other material was
a7)
Cf
(
82
mixed into the slurries
A
That would be in the same areas as the first
one if I understood the first one
Let me make sure you did
The first one
really was designed to take the area where the bags of
asbestos and raw material came in and were unloaded and
stored until they actually went into the production
|
process
A.
We did not do it there because the bags were
not unwrapped until asbestos was going to be used in
the mixing area
Q
So there were none done at the entrance point
so to speak where the raw materials were brought into
the factory
A.
.
Not where they were all wrapped bags and
tight
I assume you did it at various points along
the production line
A
Yes that's right
And did you do it at the point where the Kaylo
[-
~
would be planed and smoothed
A.
aQ
ee
Pee
et
ere
Yes
And also where it would be cut into whatever
va ae
83
~_
the proper lengths were
A
Yes
Q
Did you do it at the points where the Kaylo
would be put into cartons in preparation for shipment
A.
I'm not sure but I think we probably did at
that point
Q
And how about at the warehouse where the Kaylo
was the cartoned Kaylo was stored in anticipation of
being loaded onto trucks or whatever else was being
used to deliver it to the customers
|
A.
No.
Q
Were any studies or any dust samplings taken
outside the plant that is ambient air samples out-
side the walls of the plant itself
A.
I don't remember
Q
Is that something that you have done at other
Illinois facilities subsequent to 1956
A. _ In recent years when the subject of outdoor
air pollution came up we did take some outdoor samples .
Back when we were making Kaylo we didn't
| ees
Q
If you were putting a time frame on when you 84
first started doing outdoor air samplings when would
you put it
84
A
I suppose about ten years ago
So roughly 1970 in that neighborhood
A.
Yeah
0
And what was the purpose of taking the outdoor
air samplings
A
To see whether we were generating any outdoor
air pollution
Q
And that would include monitoring to see
whether the materials that were being used in your
manufacturing processes were in the air in the vicinity
of the plant
A.
Yes sometimes
Now I think you told me this morning that you
did not do any air sampling at any customers plants
or shipyards
Yes A.
that's true
;
_
|
Now during the course of time when Owens-
Illinois was manufacturing Kaylo was there a program
for rays of plant personnel
A.
Yes
Q
Let me go back
I forgot to ask you a question
With regard to the air sampling at Berlin and Sayreville
when did that start
{
Ve
{
> an
C
85
A.
Well it started very recently after this
Kaylo was in production in a matter of oh a couple - of months or as soon as the production wrinkles got
ironed out so they had a normal operation
Q
The Berlin and Sayreville Plants were plants
that had already been in existence were they not
A.
Yes
a
They were then converted to the manufacture
of Kaylo
A.
Yes
Q
Prior to the Kaylo conversion were dust
samplings conducted at those plants air samplings
A. Q
_
Not by us
86 So that your understanding is that after Kaylo
went into production at the plants Illinois
began to do air samplings at Berlin and Sayreville
A
That's my recollection Now if I might go !
back a minute I got out of the Public Health Service
in 1946 It seems to me that Berlin and probably
Sayreville were already in more or less in pile plant
operation at that time So when I said that we
sampled after those plants got in production maybe
two months they got in production that's not quite
86
accurate because I was still in service when those
plants started the operation
Q
Would it be fair to say that within a few
months of your returning to Illinois air samplings samplings
were being done at Berlin and Sayreville
A
I think that would be fair yes
And you just don't know whether they were
being done before you returned
A
No.
Q
If 9 ...back to the question I had asked you
about the raying were you involved in the decision
"
ai
to conduct rays at the Berlin and Sayreville Plants
A.
Of the employees
Q
of the employees
A.
Yes
Q
And were you involveidn the decision as to
which employees would be rayed and how frequently
they would be rayed
A.
The frequency was annually We were involved
in that The areas in which the men worked was made
by the medical director of the plant physician and
the personnel director at the plant were involved as
well as to a limited extent
SE
(O
A
(
L
87
Mr. Hazard would you take a look at Exhibit
H17 for a moment It's a letter dated November 21
1952. This is an intercompany memo that you prepared
and signed sir
A.
Yes
Q
And who is Mr. P. A. Gillis
A.
He was Personnel Director at the Berlin Plant
a
And would you tell us sir what the purpose
of this November 21 1952 memo to Mr. Gillis was
A.
This was a letter to Mr. Gillis who was the
Personnel Director at Berlin and under whose direction
the medical service operated The purpose was to
suggest a schedule for raying people in different
areas of the plant
Q
And based on this suggested schedule people
who were actually involved in the handling of asbestos
and in the mixing operation would be rayed annually
A.
Yes
Q
And supervisory personnel would also be rayed
annually
A.
I
Q
I
don't see mention of was referring to the
supervisory
second page
personnel
where you
talk about plant managers should be rayed every year
) QC
'
A.
Yes that's right
a
And the plant manager was not somebody who
-. worked directly with asbestos or with the mixing and
*
*
manufacturing process would that be right sir
A.
Not directly but he at times was in depart-
ments where there might be loose asbestos fibers float-
ing around
Q
And in that case you would want him rayed
annually
A.
Well it was an down part of the job
He wasn't there a certain period every day He would
usually go out every day and walk through the produc-
tion areas
Would it be fair to say that the plant manager
was not somebody who was engaged eight hours a day
five days a week 52 weeks a year in the mixing and
the manufacturing of asbestos
A
Oh yes that's fair Another advantage or
another thing to accomplish here was if the plant
manager put on his respirator when he walked through
the Production Department where everybody else was
supposed to wear respirators it was a good thing for
moral^' and understanding
191
89
Q
Let me ask you one other question with regard
to the plant manager and the ray Would it be
correct to say that when you sent this memo to Mr.
Gillis in 1952 that you recognized that the type of
result exposure to asbestos the plant manager had could |
in his developing asbestosis
A.
No we couldn't imagine he would get enough
exposure to develop asbestosis
8
At any time did Mr. Gillis put this schedule
into effect
A
I don't know
Q
You don't recall following up to see if an
annual ray procedure was in fact established at
Berlin
A.
I have every reason to believe it was but
I don't know My memory isn't that vivid I assume
it was because he ran a pretty good ship
Q Gillis
Did you ever receive any reports from Mr.
or see any reports prepared by him which would
indicate
and what
to you that the results
the ray system was in effect
of the rays were dealing with
|
the Kaylo operation at Berlin
A.
A little bit more about the system
The chest
90
rays on the men were made locally and then the films were sent to Saranac Laboratory for interpretation
At the same time the local roentgenologist examined
and interpreted them too The Saranac reports came
back to us in Toledo We noted them and forwarded them
then to the plant
So we did know when these rays
or if they were taken and what the results were
Based on what you say now some system of
annual rays did go into effect in Berlin
A.
I am sure yes
Q
|
A.
And at Sayreville
Yes
Q
After the Kaylo Division was sold by Owens-
Illinois did you have any further responsibility or
any further dealings with Kaylo
A.
No not at a time when sale was complete
a
Were you ever called upon by Corning
to provide any help or assistance to them with regard
to their production and sale of Kaylo after 1959
A
They have the access that they could ask us
about the results of annual chest rays which they
did to some extent as far as they were interested Out-
side of that we had nothing to do with it
91
Illinois 0
Did
at any time after 1959
manufacture any products which contained asbestos
A
I don't know
Q You don't know one way or the other
A. No. I have no reason to think that they did
We did have a research laboratory and experimental
group and whether they were with us I'm not sure
Q
Do you have any recollection of any asbestos
products being made by Illinois after the sale
of the Kaylo Division for commercial sales
A. No I don't have any recollection of that
Q
Mr. Hazard in going through some of the cards
of your old speech notes is that the right term to
use
A.
Well talks
to be that prevention is a
Q
One theme seems
very important factor a very important part of
industrial hygiene Would that be a fair statement
A.
It's avery important part
When you talk about prevention are you
Q
ing about prevention of occupational diseases
talk-
A
Yes
would be considered an occupationa
Q
And asbestosis
CL
C
92
disease would it not
A.
Yes
Q
And asbestos would be considered more than
just simply a nuisance dust is that right sir
A
Yes
Q
Just one last item Mr. Hazard
Just so the
record is clear asbestosis is an industrial disease
is it not-
A.
Yes
Q
Asbestos is just the dust
A.
The cause of it
Q
The cause of asbestosis okay
|
The last question Mr. Hazard is in going
\
through
ment or
the material you brought there exchange of letters between you
is an agreeand Owens-
reflutte reflutte
Illinois yout I wonder if we could mark those and if
could explain to us what your current status with
regard to Illinois is
Let me take it step by step
First could
we mark the package of material that you have in front
of you
Whereupon Hazard Exhibit 22 was
marked for identification
93
Q
Mr. Hazard do you at the present time have
some type of financial arrangement with Illinois
A.
I am retained as a consultant to Illinois Illinois
/
in this area of industrial hygiene and a rate of pay is
mentioned in here
Other than the work you have done with them
in connection with the asbestos litigation what other
consulting services have you provided for Illinois
during the term of this agreement that we have just
marked
A.
Well there has been none where I was paid an
hourly rate They have asked my advice on this that and the other thing but I have not been retained for
any special job as the consultant
Q
Has most of your consultant activity under
the term of this agreement been involved with asbestos
litigation
A
Well the Kaylo
Q
The Kaylo litigation
A.
Right
The other thing I have forgotten there is
a curriculum vitae and I would like to mark that
A.
This consulting job is the same as other jobs
94
that I have had in the consulting field It just
happens that it's Illinois
Whereupon
Hazard Exhibit
23
was
|
marked
for identification
Q
In regard to the curriculum vitae which has
just been marked is there anything sitting here today
that should be added to it or changed or is it complete complete
as of this time
A.
It looks complete to me
There may be an
occasional article or paper that is more recent than
this which may not be on there but nothing strikes
me at the moment MR LEVY
Thank you Mr. Hazard MR CALLAHAN
I have no other questions questions
We have been in
session for 55 minutes
I think this would
be a good time for a break
Whereupon a recess was held from 2:30
to 2:50
_
MR ANDREW BERRY Exhibit 2A March
1943 Bowe's to Gardner
Exhibit 3A June 25 1943 Bowes to
on.
Gardner Exhibit 3B June 29 1943 Gardner
95
to Bowes 3C July 6 1943 Bowes to Gardner
Exhibit 3D May 24 '44 Bowes to Gardner
Exhibit 4A attachment of May 31 1944
to Exhibit 4 Exhibi4tB undated report by Gardner The first line of which is On February 2 1943 we received
Exhibit 5A Gardner to Bowes November
27 1944. Exhibit 5B April 18 1946 Bowes
to Gardner Exhibit 5C May 13 1946 Gardner
to Bowes
Exhibit 5D Summary of Animal
Inhalation Experiments on Kaylo May 13 1946
5E telegram Hazard to Bowditch January 3
1947 Exhibit 5F Hazard to Bowditch
February 6 1947. Exhibit 6B Hazard to Vorwald November 4 1947. Exhibit 6C Bowes
to Vorwald November 4 1947. Exhibit 6D
Vorwald to Bowes December 12 1947 Exhibit
6E Hazard to Vorwald January 9 1948
Exhibit 6F Vorwald to Bowes January 19 1948
Exhibit 6G Vorwald to Hazard January 19
1948. Exhibit 6H Hazard to Vorwald January
28 1948 Exhibit 61 Vorwald to Bowes March
3 1948.
Exhibit 6J Bowes to Vorwald March
96
31 1948. 6K Vorwald to Bowes April 26
1948
Exhibit 9A Vorwald to Shuman December
|
23 1948
Exhibit 10A Vorwald to Bowes May 3 1949. Exhibit 10B Bowes secretary to
Vorwald May 9 1949. Exhibit 10C Hazard
to Vorwald July 6 1949
Exhibit 11A Hazard to Vorwald January
5 1950. Exhibit 11B Vorwald to Hazard
January 12 1950. Exhibit 11C Lillian Blinn
to Hazard February 24 1950 Exhibit 11D
Hazard to Blinn March 7 1950 Exhibit 11E
Hazard to Vorwald May 18 1950 Exhibit 11F
Vorwald to Hazard May 29 1950
Exhibit 14A Vorwald to Hazard December
18 1950.
April 30
Exhibit 14B Hazard to Vorwald 1951. Exhibit 14C Industrial
Hygiene Survey May 29 1951 of the Sayreville Sayreville
Plant conducted by Saranac Exhibit 14D
Hazard to Vorwald June 8 1951 Exhibit 14E
Hazard to Durkan July 11 1951
Exhibit 14F
Durkan to Hazard August 7 1951 Exhibit
97
14G Hazard to Miriam Sachs November 5 1951
Exhibit 17A Curtis Howard to George White December 9 1952 inclusive of draft pamphlet
Exhibit 18A Hazard to Ira Brought July
12 1957 including memo from Hazard of June 12 1956 including memo of same day from Hazard to Stewart and including reprint of what I think is Exhibit 21 which is the article by
Schepers Durkan Delahant from the Archives
of Industrial Health September 1955
EXAMINATION
BY MR ANDREW BERRY
a
Mr. Hazard my name is Andrew Berry and as
you know I am an attorney who represents Illinois
With the permission of these other gentlemen and lady
at the table I can go first in asking you some ques-
tions which I will confine to the general subject
matter of the questions that Mr. Levy asked you
If you have any problems understanding my
fast questions because sometimes I talk too
let me
know and I will try to rephrase them okay
98
A.
Okay
Q
Mr. Hazard I show you what has been premarkedpremarked
as Exhibit 2A through 18A and ask you if you have had
a chance to look at them prior to the time I have just
handed them to you
A.
Yes I think I've seen these
na na 5
99
Q
Mr. Hazard as to those documents included
in the Exhibits 2A through 18A which bear your
signature or bear your initials can you confirm that they originated from you in the ordinary course of
business at Illinois at or about the dates
reflected in them and were kept in the ordinary course
of business by Illinois
A.
Yes sir
including Q
As to the others of those documents
those showing you as a recipient directly or as a
carbon copy recipient can you confirm that they were
documents which were received and maintained by Owens-
Illinois in the ordinary course of business as it
existed in the 40's and the 50's
A.
Yes sir
a
Can you confirm that the documents 2A through
you 18A were the sort of documents
have described
in answer
to Mr.
question Levy's Levy's
when you referred
to pulling materials into boxes around April 30th
or May 1st 1958 and having them I think you used
the phrase sent over to Corning Fiberglas
MR KELLY
Objection
A.
Yes
Q Let me ask that question another way Do you
100
believe that those documents were sent to Owens-
Corning Fiberglas in connection with the sale of the
Kaylo Division
MR KELLY
Objection
A.
Yes
a
Mr. Hazard Mr. Levy asked you on a couple
of occasions I think whether Illinois put
any warning on Kaylo and I think you said that Owens-
Illinois did not Why not Why didn't Illinois
put a warning on
A.
The product was safe and the dust from the
product was safe
Q
And on what do you base that opinion
A.
Early in the days when Kaylo was being made
we worked with Saranac Laboratory for them to conduct
animal inhalation experiments at Saranac Lake Dust was gathered from a dust arrester at the Berlin Plant
and was sent to Saranac where they dispersed it in
a room which was lined with animal cages and where
the animals breathed this dust This dust being
Kaylo dust
They followed the animals for a matter of
weeks and weeks
The daily exposure was eight hours
101
a day five and a half days a week week after week
Then at intervals when they assumed from their
"
experience that the animals might have been affected
by breathing the dust they sacrificed groups of
animals
The first two experiments first two series of experiments were negative The dust had no affect on the animals The third series of experiments
showed that the animals had contracted pulmonary asbestosis which was quite surprising really and .
at firstsome ofw a h cona cet rn
However it was concluded after succeeding
experiments that there was no danger to the user of
regular commercial Kaylo The reason for this the
reasons were two
First the exposure to the dust
that the animals had was very very high in actual
figures in the order of 105 110 115 million
particles million asbestos fibers per cubic foot of
air The threshold limit value for man is only
5 million fibers per cubic foot of air
So the cloud
was extraordinarily dense and the reason for this
was to speed up the effect on the animals
As it is
each serie's ran for two or three years but they gave
102
them big doses in order to speed up the effect Now the second aspect was that the animals
breathe dust five and a half days ahour hous rs .
a day week after week during their lifetime This
is a very accelerated experiment No man ever
breathes Kaylo dust for his lifetime
It would be
impossible
So because of these two factors
One the
immense concentration that the animals were exposed
to and second the fact that they were exposed for
their lifetime made it unnecessary to label the product
with some cautionary label
In addition to this it was published in the
40's a paper by Drinker and what's his name I forgot
it will come to me published in the Journal of the American Industrial Hygiene Association where they
examined shipyard insulation workers men who installed instaled
pipe insulation on shipboard They concluded
the occupation of insulation insulators was a safe
one The exposures that these men had were comparable
not the same but comparable to what we had in our own manufacturing plant We concluded that people handling Kaylo were also in a safe environment
103
There were other things that were important
in making this decision The Kaylo plants at Berlin
"
and Sayreville New Jersey had no Workmen's Compensation Compensation
claims for any disease caused by breathing dust even
after a good many years They had no increased sick
absenteeism in any way related to asbestos or Kaylo
dust The industrial hygiene people and doctors from
the State of New Jersey Health Department found the
insurance carrier Workmen's Compensation insurance
carrier from the Health Foundation from Saranac
Laboratory itself and tests that we made at Owens-
Illinois showed that the dust exposure at Sayreville
and Berlin was within safe limits particularly as
regards asbestos dust So the conclusion was that
this product was not harmful hence no reason to put
a warning label on the carton .
Q
Mr. Hazard you referred earlier on in
answers to Mr. Levy's questions to some time you spent
at the Havard School of Public Health in the early
1930's Who hired you
A
You mean there
Q
There
A.
Philip Drinker who was in charge of the
104
Industrial Hygiene Department of the School of Public
Health hired me Incidentally you might be
interested this same Philip Drinker is the guy that
the Drinker respirator the iron lung was named after
because he developed it This is aside from any dust consideration
but it might be of interest He is a very ingenious
man and he hired me because he had an idea for making
a recorder to measure dust floating in the air
I
had some physics background This was to be a photo-
electric device where
through the film onto
you the
shine photo
a beam of light
cells where the
dust
has been collected on the sheet of transparent film
and it was supposed to operate automatically set it
up in the room and let it run for eight hours Well
we built a couple of them We got two patents on
them They were never commercially merchandised
but it was the most interesting experience especially
working under Phil Drinker and for me because it got
me away from physics and into industrial hygiene
Q
Are you shown as the inventor on the patents
that you just referred to
A
Yes
105
Q
A
Is there a inventor
I'm not sure
Actually there is
Q
Who
A.
Drinker
Q
You mention that this device was for
measuring airborne dust In the early 1930's what
was if you know the conventional device for
measuring airborne dust
A.
The one used mostly in this country was
called the Midget Impinger
It was a modification of
an earlier impinger which was the Greenburg
Impinger
It was a flask such as this and there was a
center tube that went down on the side along here
and you sucked air out here and dusty air returned
down through the center of the tube and dust was
trapped in the distilled water It was used widely
It was a tedious painstaking way of measuring dust
You had to take your dusty water back to the
laboratory and count about ten specimens of it with
a microscope
So that was the reason that Phil
Drinker was angling to get a more automatic instrument
in the shape of this thing that he hired me to work on
106
There was a little different instrument used in Britain and South Africa and there were about three
or four instruments used for measuring dust all
very tedious not too accurate and everybody wanted
to get a quicker instrument
Q
Did the Midget Impinger continue to be
used by you throughout the
|
A
Yes and today
40's and
50's
Q
Was the Midget Impinger or was not the
Midget Impinger the standard dust counting device
for working hygienists in the 40's and 50's
A
It was the standard device certainly in this
country Abroad they leaned a little bit towards
other instruments but it was still used there
-
You indicated in answer to Mr. Levy's
question that after you spent four years I guess
at
the Harvard School of Public Health including I
think you said a year or 18 months with some teaching
responsibilities you became employed by Illinois
Can you tell us how you became to be employed by
Illinois
A.
The background
Q
Yes
107
A Sure In 1932 '33 '34 I got into it in
'34 I had three sand plants to supply sand to
auto plants for making the glass
handled a hundred percent silicate
These sand
plants
SIO2 and
in the early 30's they woulbde set by suits for
Worker's Compensation claiming silicosis in the sand
plant personnel Eventually those three sand plants were sold and Illinois was practically out of
the sand mining business to everyone's delight
But some of the people at Illinois at
that time including one member of the Legal Department
began
if we
to wonder we use all this sand in have so much silicosis in the sand
making bottles botles plants how
about the plants where it's used
So he heard of
Phil Drinker and he went to the Harvard School of
Public Health said he wanted to hire somebody to
measure dust in the bottle plants of which there were
about nine or ten at that time scattered around the
country Well almost a dozen scattered around the
country So Drinker suggested by Illinois which is how
me and I I came to
was hired
live in
Toledo
What was the principal business of Owens-
10
a
108
Illinois in the 30's and 40's and 50's
A.
Manufacture of glass containers which the
. normal person calls bottles but the glassmaker calls
them glass containers
Q
After you began work at Illinois but
before you went into the service in 1942 was there
any existing work or health or industrial hygiene
program at Illinois
A.
There was practically none at the time I got
there which was '34
They did have a man who had
done a little bit of dust measurement but it was very
minor
Q.
Aside from the dust measure aspect of it
when you came to work at Illinois were there or
were there not other programs dealing with industrial
hygiene worker health and the like A I guess there were because there are other
ingredients besides sand that go into making glass and particularly with colored glass selenium and
memogreen There are other airborne contaminants
outside of sand Well lead is one Lead is really a far more fast acting material in the body than sand
is so there were other aspects to the program
11
109
Q
During the course of your employment at
Illinois but prior to let us say 1942 did
you become aware of the company's policies programs
and attitudes with respect to worker health and
safety
A
Yes I did
Q
Could you characterize them for us
A.
The company was a great believer in preventa-
tive health programs that is preventative sickness'
programs Make the plant clean so a person doesn't
get sick when he is working on a job That was basic
and that still is basic This involves How do you
make it clean how do you make the air clean Well
you got to trap the dust somehow
You can do it
through the use of water or through local exhaust
ventilation or sometimes change the material itself
So they had a pretty broad interest
Q
Was there a medical program in existence
prior to 1942
A
Each plant had its own local plant doctor
part doctor mostly except for two instances
medical director when
They did not have a corporate
I got there
Later on fairly soon well I guess in
110 12
'46 or something like that they did hire a time
medical director who coordinated the medical program
Q
We will get back to that later You used
in answer to one of my questions a little while ago
the phrase Threshold Limit Value or TLV
I forget
which one you used Can you explain what the concept
is of that
A.
Yes the concept is that there is a level of
practically every material above which you should not
have a person exposed for an indefinite period By
indefinite in this term I mean the lifetime of
occupational history You can go above the TLV level
as long as for a similar period you go below it for
a similar degree
It's not something that you can
never go above but you got to even it out so that
the average exposure is not above
Threshold Limit
Value
This was a new concept in the 40's I guess
They always had these levels which were guides as to how much exposure a human being can accept but the
earlier one was the maximum allowable concentration
MAC That concept was that you should never go above the maximum allowable concentration but this was
13
111
changed to the TLV concept which has been retained
for many years now and is used today
Did the concept of the TLV have within it
a safety margin
A.
Yes there was a safety margin A person
could be exposed to the TLV for his working life and
he would be safe
He would be below what the maximum
his body would accept
Q.
Who promulgated the TLV's
A.
The governmental group which is knowans the
American Conference of Governmental Industrial
Hygienists abbreviated
_
updating them every year
ACGIH issues these TLV's and having a group of
proposed TLV's for a year or two until everybody has
a chance to look at them and then they become the
permanent TLV
Q
Well tell me who comprised the ACGIH
A.
There is a conference that's the name of
it a group of persons in industrial hygiene who hold
governmental jobs These people may be in the public
health service from NIOSH from any government agency
where industrial hygiene is practiced and it is
practiced pretty widely in the U. S. Government Also
112 14
state governments have industrial hygiene bureaus and
those personnel or
eligible to belong
personnel in those bureaus are
to the ACGIH
Professors and
teachers and researchers can hold membership Indus-
trial people or people workinign industry cannot
that is I could during the war years but I could
not before or after because I was not in a governmental
agency Q
Did you have membership during the war years |
A
Yes sir
Q Mr. Hazard with respect to the TLV for
asbestos which you had mentioned earlier I think you
referred to as asbestos particles but tell us if you
could
what
the
5 million particles
_
e
per
cubic
foot
meant
A.
I mean how did that work
Well I mentioned the Midget Impinger which
was this glass flask through the center hollow tube
going down
air so the
into it and a
air retaining
side arm the dust
in which you
went down in
draw the
center tube and bubbled around in here and dust was wetted and retained by the distilled water and then
you took this to the laboratory and with a took a small portion of it and put it in
pipette
flask
15
which is like a blood counting chamber that sort of
thing where you have a known thickness of water and
you look at it through a microscope The microscope
having a
lines so
field piece in
you can define
it which is ruled with cross
a given known area and then
you count those in that area
You know the area that
you count in you know the thickness of the water
the particles were in you know the volume of air
you have drawn through You can calculate back to the concentration of particles per cubic foot of air
Usually in millions 5 million for example asbestos
TLV currently
You don't count 5 million you count
_
maybe 30 40 50 particles in each of the ten fields
in the microscope and then you take the median of
those and multiply divide
eee ae
multiply
volume of air
eee wee
eee
pulled
pulled
Q
Not being an industrial hygienistI may be
somewhat confused When you said asbestos particles
was the 5 million standard applicable to total dust
some of which might be asbestos particles or was
it applicable to other asbestos particles
A.
It was applicable to the asbestos particles
In the early days of asbestos they counted practically
114 16
all acid insoluble particles
Asbestos is characterized as being a fiber
shaped thing particles can
asbestos of a
but when fall off
particle
fibers so you shape
are broken little
do get particles of
a fiber shape
not
However several years ago now they came to modify
that and today they are supposed to count only fiber
shaped particles and forget the round or square
particles
Q
Well
let's
go back to
say
the
40's.and
the 50's
of whether
Could you give us your understanding
the TLV standard was applicable to the
total dust some of which would be comprised of
asbestos or whether it was applicable to asbestos
particles
A
Well the current thinking is that it is
applicable only to asbestos particles not to total
dust Q You told Mr. Levy that you took dust counts
in the Berlin and Sayreville Plants How would you
reach a decision as to whether the Threshold Limit
Value was being exceeded in the plant
A.
Well you go through this counting procedure
115
that I just described and you know what the Threshold
Limit Value is
and you compare
and what you don't want to exceed
sample what your dust
is with the
TLV
a When did you do that in Berlin and Sayreville Was it your practice in the 40's and 50's to take
in the percentage of Kaylo which was comprised of|
asbestos
__
A
Yes
Q
How did that work
A.
Through collecting settled dust samples from
rafters or ledges that sort of thing
You could get
.
dust that had been airborne which means that it was
a very fine size fine enough to be inhaled into the
lungs and this could be analyzed by ray technicians
of asbestos in this settled
to find out the percentage
dust sample You apply that percentage to the count
that you made If you made a total count you applied
it to that total count
Q Can you give me a numerical example of how that might work Suppose you had a 10 million
particle dust count in Berlin or Sayreville
A
You mean what it would look like
18
116
Q
My question is unclear Forget it This
method of counting total dust and then figuring out
how much dust was asbestos particles was that a
method of using the TLV Was it or was it not a
method of using the TLV which was usual and customary
in the 40's and 50's
A
It was usual and customary and you had to do
it in that way or some equivalent way because you are not interested in total dust You want to know how
much asbestos your guy is breathing in
Q
During the time period that Illinois
manufactured Kaylo was the TLV regularly reviewed
by the ACGIH
A.
Yes every year once a year
After the
Review Committee had decided to change the level it
was put on this temporary listing for a couple years
and then it was moved over which gave people a
chance to consider it and argue about it and so on
Q|
During the time that Illinois manufac-
tured and sold Kaylo did the Threshold Limit Value
for asbestos remain 5 million asbestos particles per
cubic foot
A
Y~ s
117 19
Was the ACGIH standard adopted by any
governmental or political bodies or subdivisions
A.
Yes
In this country every group that dealt
with such things as Threshold Limit Values
a
Was it adopted in the State of New Jersey
A.
Yes
Q Were you aware during the late 40's and 1950's of any other standard besides the ACGIH
promulgated standard which was widely used
A.
Which was widely used
a
Yes
A.
Some states have standards that were a
little bit different from the ACGIH special limit
value
If I remember the State of Massachusetts
had slight variations from
true for some of the older
the ACGIH states who
The same was
had been in
this game for a good many years
Q
You told Mr. Levy that during the second
world war you served in the United States Public
Health Service and that it was militarized
Did that
mean you held a military rank when you were working
there
A.
Yes
20 118
a
What rank was that
A.
I went in as a Captain We wore uniforms
" like Army uniforms and then they bumped me up to a
Major
I think you told Mr. Levy that among your
duties during the war was consideration of dust
fumes gases at various manufacturing plants in New
Jersey and then in New York
In carrying out those
duties what standards did you apply with respect to
dusts if any
A.
We used the TLV standard and prior to that
before they were widely accepted we used the MAC
Maximum Allowable Concentration Values
In answer to my second or third question
I think Mr. Hazard you made reference to an article
that was written by Phil Drinker with reference to
shipyard workers and insulation In the 1940's were
you a subscriber to the Journal of Industrial
Hygiene and Toxicology
MR LEVY
Object to the
question
Q In any event Mr. Hazard in the 40's did
you subscribe to the Journal of Industrial Hygiene
119
and Toxicology
A.
Viles
Yes
In
Gade
1946 did you read an article by
and Drinker in that journal and
Fleischer
is that
the article you referred to
A
That's the article yes
' Do you remember reading that article in 1946
A.
Yes
that a
How do you remember
you read it in 1946
A.
As I already mentioned Drinker was the one
who gave me my job at the School of Public Health
and I knew him personally
His office was just down
the hall from me and when you know a person that
well and have such respect for him you are pretty
darn right you are going to read the article that he
writes Q
After the war you returned to Illinois
A.
.
Yes
And I think you have discussed with Mr.
Q
at some length the various correspondence back
Levy
and forth with respect to the Saranac animal dust
inhalation experiments Did you ever request of the results of these Saranac studies
publication
120 22
A Yes we did You mean the experiments with
Kaylo
Q
Yes
A.
Yes we did
Did you as you received the documents which
have been marked as Exhibits today from Saranac to
and others at Illinois did you compare
you
reaction or contrast the
of the sacrifice guinea pigs
and other laboratory animals after exposure to Kaylo
with the reaction of similar animals after exposure
to other kinds of asbestos containing products or
to asbestos
A.
Saranac
I did not personally but
Laboratory did and we took
those their
at the word for
it
Q-
Based upon the entire volume of the correspon-
dence and documents flowing back and forth from
what did you
Saranac and Illinois
as to whether or not Kaylo proved a risk
conclude to users
were in agreement with the.
A.
We concluded we
that the animals who
people at Saranac Laboratory
dust for a long period of time did breathed Kaylo
reaction of the tissue of
get a characteristic
asbestosis Now you might think well this is a
23 we
121
dangerous product It's not a dangerous product
There was no need to label it as such
The reason
for this as I said was the concentrations to which
these animals were exposed were extremely high
110 125 million particles per cubic foot where the
leval for man is 5 million
So it was far higher
than what any man would breathe
He would just run
for cover
He just wouldn't stay in that kind of
dust Or run for fresh air I should say
Plus the fact that this was for an animal's
lifetime that the animal breathed this concentration
eight hours a day No man who is an insulator is going to spend his entire working lifetime laying up asbestos He's going to be doing other things part of the day too Fleischer and Drinker did not
find that that was a dangerous occupation Or put another way they thought that insulators on shipboard
were ina safe occupation
Q Mr. Hazard at Berlin and Sayreville is it
correct that the manufacturing processes continuously
generated dust
A
No the big source of our dust from
uncombined materials was in the batch house where the
122
asbestos soda ash lime were weighed out and put
in mixer and stirred up with the water
That was
an intermittent product of the process
The batch house at those two plants as I
remember might have operated four or five hours a
day if that and the rest of the time was shut down
When this slurry this batch got into the kiln and
heated then the water is driven off and the chemical
reaction is there so it came out as a cake type of
thing or a slab or as a piece of cylinder and then
the dust was not a problem You could handle it and
it was all right You didn't get a big cloud of dust
out of it
It was all bonded together
If you sawed
it or planed it then you did have some dust released
But the basic material the slab or the
-
rod contained about only 15 percent asbestos It
was not hard even in sawing or planing it to exhaust
dust from this so it was a perfectly safe operation
Q
When you took dust counts at Berlin and
Sayreville what standard if any did you apply
|
A.
The TLV
a
You indicated in answer to Mr. Levy's
questions that some other people from time to time
123 25
had taken dust counts at Sayreville and I think you
indicated that Saranac Laboratory had done a dust
|
study
A
Saranac Laboratory did it the State Health
Department did it our Workmen's Compensation insurance
carrier did it and those were the ones What standards did they use in determining
the air quality within the plant A. They used TLV The same TLV 5 million
In answer to Mr. Levy's questions you
indicated that there was
at Sayreville and Berlin
a periodic ray program
and that the chest rays
which would be taken of the workers who had been
working there were sent up to be read at Saranac
A.
Q-
That's right
And I think you told Mr.
Levy they would
then be sent through you
That's right
Q tured
During the time when
and sold Kaylo did you
Illinois manufacreceive any indication
Laboratories that there were any ray
from Saranac
changes in any of the rays they read which were
suggestive of asbestosis
26 124
A
No. My memory isn't too good on this but
it seems to me that
chest rays over a
they looked at
period of many
over a
years
thousand
and they
found three that had some evidence that inhalation
of dust had had an effect on the lungs but it was
not confirmed that this was asbestos dust
It could
have been silicate dust The picture the markings
were faint
Q
Were you ever advised by Saranac Laboratories
that any of the workers in the Berlin or Sayreville
Plants had in fact contracted asbestosis
A.
No. I think I might throw out this thought
What's that have to do with the user Well we
thought that there would be a bigger dust exposure
in our Sayreville and Berlin Plants just by the
nature of handling Kaylo all the time 24 hours a
day a bigger exposure than what the worker in the
field would have
We had no hazard
Why would we
|
tell the user in the field that this was a dangerous
product
Q
In the ordinary course of the operation of
Illinois in the 1940's and 1950's would complaints
from userosf products produced by Illinois
125
which were health related complaints have made their
way to you in the ordinary course of business
A. A health related complaint of a dust source
would certainly have Now we got complaints you know of bottle breakage which is a totally different
thing and they did not come through me
Q
Did you ever get any complaints during the
1940's and 1950's from any users of Kaylo about
Kaylo dust
A.
No.
During the time that Illinois manufac-
tured and sold Kaylo were you ever advised by
Saranac Laboratories or by any other reputable
personnel that the TLV's were unreliable
A.
No.
Q
Were you during that time period ever
advised by Saranac Laboratories or any other person
you considered to be reputable that
or users of Kaylo were at risk
shipyard workers
|
A
No. Fleischer and Drinker's report brought
that thought if ever existed to rest because they
found that insulators were in a safe occupation
Did Saranac ever advise you to take dust
126 28
studies in shipyards or in construction yards or other
places where Kaylo was used
A
No.
Q Did Saranac or anybody else for that matter
ever suggest to you that you should put a warning
label on Kaylo
A.
No. If
I might add a point
this was
the
reason that we welcomed the visit of Saranac and
technical people to our Sayreville Plant is that
they could see how it was made
This is how Kaylo
was made and we already mentioned they did make such
a visit They took dust counts in the plant at each
important operation and they considered it a safe
operation
Q
Kaylo
|
Mr. Hazard you indicated in 1958 that the
Division was sold to Corning Fiberglas
A
Yes
Mr. Hazard other than the putting in boxes
of documents that you have already testified to today
for what you indicated you believe was transmittal
to Corning Fiberglas so as far as you know Illinois did not and I exclude for the moment
the 1955 article on the Kaylo experimentast Saranac
29
127
--
Illinois did not transmit the Saranac dust
studies or related documents to any other company
'
did they
A
No they did not
MR KELLEY
Objection
Q
Did Illinois other than in the boxing
and you understood transfer of documents to Owens-
Corning Fiberglas transmit the Saranac correspondence
and reports which Illinois had received to any
other company
MR KELLEY
Objection
A.
No.
Tell me all of the places if you can
remember where the Saranac animal dust studies and
related correspondence went if anywhere in 1958
MR KELLEY
Objection
Q
You can answer
A.
1958 The year it was sold you mean We
usually had as I recall about three copies of each
report Of
them to Mr.
course it came Bowes if he was
through me
I
around to the
showed
head of
the Kaylo Division to Charlie Shook the Medical
Director and then sent one to the plant where it was
128
kept I can't be too precise on this because I'm not sure where each copy did go but in general that was
the pattern
MR KELLEY
|
I move to strike the
answer as speculatiavned unresponsive
MR ANDREW BERRY
I think that's all
I have Mr. Hazard
A.
Might I add one thing more We wanted
Saranac to publish the results of their animal
experiments Well finally they did do it So it's
public knowledge There is no secret about it
MR ANDREW BERRY
That's all I have
Thank you Mr. Hazard
Whereupon a recess was held from
3:55 to 4:15 o'clock p.m.
MR MCMONAGLE Tim McMonagle on
behalf of Fibreboard's Counsel in Boston
Massachusetts which is Sloan & Walsh
represented by Robert Gilden n
On behalf of those cases only involving
Fibreboard we would object to the terminating
of this deposition at this time and would
like to reserve our rights to recall Mr.
129 31
Hazard I have spoken to Mr. Callahan his
Counsel that I was going to put this on the
record
EXAMINATION
BY MR KELLEY
Q Mr. Hazard my name is John P. Kelley and
I'm the attorney for Corning Fiberglas
Corporation I just have a few short questions for
you
At least I hope that will be the case
First
of all you testified concerning transfer of documents
to Corning You don't know of your personal
knowledge -- you didn't physically witness that
transfer did you sir A No sir I know they were put in the cartons
and that's as far as I know because it was 4:30 and
I went home
Q here
In other words your knowledge of the facts
is simply that you saw all the documents put in
the cartons
A.
That's correct
Q And beyond that you know nothing else is
that correct sir
130 32
A
That's correct
Also you testified concerning Mr. Edward
ftAmes and possible dealings with him in 1941 Do you
recollect that testimony this morning
A. You remember what I said about him
probable Q Well you said that it was likely and
and they are the words you used that you may have
discussed the return of the government document with
reference to the inhalation of asbestos with Mr.
Edward Ames Do you remember the testimony that
regard sir
A.
Yes
You have no present recollection as to
Q whether you had any discussion with Mr. Ames isn't
that correct sir
A
That is correct
You cannot recall specifically today
discussing anything with him is that correct sir
I am not surprised if I
A.
That's correct
did Somebody might say I did I'm not surprised
at that but I personally am not sure
remember anything about it if in
Q
You don't
fact it ever did happen
131
That's right
Is that right
A
Yes
Q We just wanted to clear that up in the
record on behalf of those points
Now I had a couple of documents I want you
to look at First of all would someone hand the Witness Exhibit 17A Now this sir if I can refresh
your memory
contains the
this is a covering letter and also
proposed pamphlet with reference to
handling Kaylo product Will you take a look at that
and tell me whether that's a correct statement I
made
A.
-
Yes that's correct
And you participated in the preparation of
this pamphlet did you not sir
A.
Yes
concur with what's stated therein
Q
And do you
sir
a
A.
Q
In the pamphlet
That's right
I haven't read it for quite a while
Well take time to read it now
In fact I
34
132 132
know we're under strain to get this questioning over
today I will direct your attention to Page 4 the
|
general conclusion wherein it states
Experience
in the factories and field and research findings
have proven that normal handling of Kaylo products is safe from a health standpoint The usual precau-
tionary measure taken for any product containin_g
asbestos are needed in a continued exposure to heavily
concentrated Kaylo dust Do you understand that
conclusion sir
A.
Yes
Q
Is that in accord with your thinking on this
subject
A.
.
Yes it is
I want to direct your attention to Exhibit
18A Is that merely your initials on a covering
memo concerning this pamphlet or concerning a letter
to Ira Brought
A
I beg your pardon
Q Exhibit 18A which consists of a memo signed
by you and also a letter of June 12th looks like
1956 to Mr. Ira Brought
A.
Yes
35 133
Q First of all take a look at these documents
tell us whether you in fact prepared these and
MR ANDREW BERRY
By the documents
Mr. Kelleyy ou mean the first two pages of
Exhibit 18A
MR KELLEY
Yes
.
A.
Yes
Q
And they represent your position on this
matter sir your view of the Kaylo product
A. The one to Mr. Stewart I read I haven't
read all of this first page The one to Mr. Stewart
is satisfactory MR ANDREW BERRY
In the interest of
time would you like to direct the witness
attention to any specific paragraph on the
first page
MR KELLEY
No I would like him
to read the whole letter
A.
Yes okay
Does that represent your position sir the
a
letter to Mr. Ira Brought
A.
Yes
a document that hasn't
0
I want to show you
134 36
been marked
Whereupon Hazard Exhibit 24 was
|
marked for identification
Q
I would like to show you Exhibit 24 and it's
on the paper of Illinois Glass Company It's
a research paper with referencte o hydrous calcium
silicates and direct your specific attention to Page
22 the second paragraph which concerns itself with
other properties of Kaylo and ask you to read this
into the record and then state whether that in fact
represents your position in this matter Have you
ever seen that paper before sir
A.
I don't remember
Have you read the second paragraph on Page
22
-
A.
Q
Yes sir
Do you concur with that paragraph sir
A.
-
Yes
Q
Would you read it into the record
A.
The dust of Kaylo consists of a hydrous
calcium silicate and asbestos and the hazards of such
dust to health have been investigated by the Trudeau
Laboratories at Saranac Lake New Jersey The hydrous
135 37
calcium silicate is harmless and the asbestos
manifested the usual effect of this mineral The
actual hazard to health of those handling Kaylo was
|
considered to be small
MR KELIEY
Thank you
No
_
further questions
FURTHER EXAMINATION
BY MR LEVY
Q
Mr. Hazard as long as you have Exhibit 24
in front of you that's the one that was just marked
Did you have anything to do with the preparation of
it
A.
Q
.
I don't remember Had you ever seen it before today
A. -
I don't remember that either
Q
It was not in the pile of material that
Illinois provided to you
A.
No.
Q
The portion that Mr. Kellehayd you read into
the record I think you read that the asbestos
manifested the usual effect of this mineral
Do you
remember that sir
136
A
Yes
Q
And what is your understanding of the usual
effect of this mineral
A.
Are you on the first sentence
Q No I was on the second paragraph You read a sentence The hydrous calcium silicate is harmless
and the asbestos manifested the usual effect of this mineral
A
Yes
Q
What is your understanding of the usual
effect of this mineral
a
A.
Well I take this mineral to mean asbestos
a
Right
A. And I take the effects of asbestos to usually be a thickening of the lung tissue impairing the
transfer of oxygen to the blood causing shortness of
breath
Q
Essentially for shorthand what is referred
to as asbestosis
Yes
Q
Do you understand that the usual effect of
this mineral also includes bronchogenic carcinoma
f
A.
No I do not
,.
137
Q
Do you that it includes Do you understand that it includes
understand
gastrointestinal cancers
>
ae)
A
No sir
Q
Or various other forms of cancer
>
A.
No I do not
Q
So your understanding is that the usual
effects of asbestosis as used in this document refers
to asbestosis
changes which
and the symptoms and physiological
occur from asbestos inhalation
A.
Yes
Let me get one point here
I am
talking about the era when we had Kaylo and made it
I am not talking about recent years
Well has your understanding about the
usual effect of asbestos exposure changed in the last
few years then
A.
Yes
Q
To the point where you do now recognize
bronchogenic cancer as an effect of asbestos
et
A.
I recognize it as a current effect
exposure currently
known effect
Q
And do you recognize at the present time
that other cancers also are a result of asbestos
Serre
exposure and inhalation
138 40
A. I know less about that but I have heard of them Q Now as an industrial hygienist you were
familiar were you not in the 1940's with the concept
of a latentcy period
A
Latentcy in what respect
Q
Between an exposure to a disease and the
manifestation of that disease
A.
Yes
Q
That was a concept which was known and
accepted in the industrial hygiene and industrial
medicine areas is it not
A.
Yes
a
And by that you understood at that time that
there were diseases where a person might be exposed
and there would be a substantial period of time between
the exposure to the substance or the mineral or the
chemical and the time that the disease would manifest
itself
A. Let me clarify that just a minute I
recognized at that time that in the case of exposure
to asbestos and the case of exposure to free silicate
the
disease does
cee
enn
ee
a
not
A
develop
considerable period of time
ne
quickly
a matter
There is of years
a
oftentimes
139 41
before the development of the disease However if you take the guy out of the exposure oftentimes the
disease never develops
the Q But just in terms of development of the
disease you did recognize and you did understand
period the concept of a latentcy
between exposure and
manifestation of the illness
A. I question the word latentcy period It's
a continued exposure before the disease develops
Would you feel more comfortable then that
there was a period of time that elapsed between the
commencement of the exposure to the substance or the
mineral or the chemical and the time when the disease
manifests itself
A.
Yes I like that better
Q-
And you understood did you not that such
did exist with regard to asbestosis
a latentcy period
|
Well time of exposure that you just
recounted yes
Q You knew that in the 1940's and 1950's did
you not
A.
Yes
a result of reading the
Q
And you knew that as
140
medical literature dealing with asbestosis that you've
mentioned to us
A.
Yes
at And did you understand that time that the
or this period from the commencement
exposure period
of the exposure to the manifestation of the disease
years with regard to asbestos could be many
A.
Well usually several years
Q
Had you read any of the reports indicating
a period of ten years or more between the commencement
of the exposure and the manifestation of the disease
with regard to asbestosis
A. Ten years I wouldn't go many more years
than that
.
Today you recognize that the latentcy or the
exposure period could be much greater than ten years
is that right
A. 0 What do you mean by today
Q
Well sitting here today
A. You mean in the light of present knowledge
Q In the light of present understanding as
have known in the
distinguished from what you may
1940's and 1950's
141 43
A.
Yes
Q And it coulbde 20 years or more is that
- right sir
A.
I think that's stretching it
You think that's stretching it Where would
Q cut off the period before the manifestation of
you
asbestosis would develop
_
A.
Six to ten years
Q And that's based on today's knowledge
A. No based on knowledge that we had then
back because I want to be
'
Well let me go
sure we're together Your understanding in the 1940's
and the 1950's was that there might be a six to ten
commencement of the exposure and
year period between
of the disease is that right
the manifestation
from the
A.
Yes with continued exposure
|
commencement to the manifestation yes
understanding is that period
Q
But today your
much can be
is that right
greater than ten years
Well I don't want to
A.
It's my impression
get
into
this
cancer bene email
thing
that may be what you
have in
Q
the back of your mind No I'm talking just about
asbestosis
not
cancer meme
=
1
_
142
A.
No I think our feeling today is the same as
it was in this period
the a
Have you continued to keep abreast of
ten medical literature in the last
years since you
retired from Illinois
A
Well I retired seven years ago
I have
kept abreast When
abreast and as the
I first retired I years went by my
kept very actively
interest sort of
keeping probably tapered off a little bit so I am
not
as I was when I retired
as abreast today
Q.
By the way back in the 40's and 50's
also familiar in the industrial hygiene and ;
were you
industrial medicine area with the concept of a dose-
response relationship
A.
Yes
-
2
And could you explain for us what your
understanding at that point in time was of a dose-
response relationship
A.
I'm sure that I learned it in that period
of time but the dose is the amount of the insulting
material that you are exposed to and the amount of
it and the length of time that you are exposed to it
In a sense the greater the exposure the
Q
143
shorter period of time that might be necessary to
bring about the physiological change
A.
Yes
And concurrently or conversely the lesser
the exposure the longer it might take for the same
type of physiological change to develop and appear
A
Yes
Q.
in the
Now 1940's
when you were reviewing the literature
and 1950's did you review or read any
of the medical reports showing cases of cancer
cancer
.
bronchogenic cancer developing among asbestos workers
A.
A.
Q
-
I don't remember them cases indicating that
Have you ever seen any I never seen any cases Have you ever seen any studies
A.
Recently
Q
Recently being what the last how many years
A.
.
Ten years
Q. You mentioned at one point this afternoon the concept of TLV or Threshold Limit Value Do you
remember that
A.
Yes
a And is it correct sir that the Threshold
144
Limit Value that you talked about did not apply and
did not contemplate cancer
A.
Yes
toward It only applied or was directed
the
or the hope that if it were met that
possibility
asbestosis might be averted
A. That was the concept in the period that
we're Q
talking about And you mentioned
and certainly
it did not
apply with mesothelioma
A.
No.
mentioned the ACGIH That is not
Q.
Now you
|
a governmental body it
A. It's made up of government employees
Q. -
But it is not a governmental body with the
capability of --
A.
Under the U.S. Constitution
Q. It is not a body that has an authority to
promulgate
Government
standards on or any State
behalf of the Federal Government is that right
A.
That's right
Q that
the
I think you've agreed with me earlier
Now
disease of asbestosis has been known for
145 47
some period of time prior to Illinois beginning
work on Kaylo
A.
Yes
Q And you do know don't you sir that
asbestosis was recognized as a compensable disease
in many states throughout the United States prior to
1940
A.
Yes
Q
Including Ohio
A.
I don't know
in Q. But any event recognized in many states
A.
Yes
Q. Now you talked about the reporbty Fleischer
dealing with the shipyard
Do you remember that sir
A.
Yes
Q.
Did you give any consideration to the period
by of exposure of the people who were studied
Fleischeirn that report
A They gave some data on that point which I
don't remember at the moment
I mean that was case
data '
studied Were you aware sir of the people
only a very few I think about three had exposures
146
of greater than 10 years
A.
Three
Q Yes Let me rephrase the question since Mr.
Rubin tells me my numbers are wrong and I don't want
to have the wrong numbers
Were you aware that there
were very few people who were studied that had
exposure of over 20 years
A.
Yes
'
that And were you aware
there were a large
number who had exposures of 10 years or less
A
Yes
Were you aware sir that of the people who
were studied and for which information was provided
that the people over 20 years had a very high percen-
tage of asbestosis found
A.
Three cases
Q.
Percentagewise that was a very high percen-
tage wasn't it sir
A.
Well I don't know offhand
I would have to
look it up
What do you mean by high
Q.
High
A
Yeah
a Enough that you as an industrial hygienist
147 49
Illinois for a company like
would have been
concerned if those figures represented findings with
regard to your own employees
cases A.
Those
represented exposures of a wide
variety
-
not all of them on shipboard
Did you recognize at the time
you
read
the
Drinker report that there
Fleischer
finding of asbestosis among people
was a significant
with longer latentcy
periods than among those with shorter periods of
exposure
_
A.
Yes
that's what we've been
talking
about
Q And you understood that when you read the
Fleischer report that that's what the report
showed
A. Yes it was brought up by the report
talked about the Saranac study
Q
Now you
and in a little detail this afternoon also Owens-
Illinois financed the Saranac study did it not | |
A Q
tial
Yes
And financed it continuously for a substan-
period of time beginning 1943 and continuing .
until the final report in 1952
A
Yes
148 50 50
Q And did Illinois consider that to be
a significant research effort
A
Very definitely
Q And being conducted by a research laboratory
that you had a great deal of confidence and respect
in
A
Yes
' And did you have a great deal of confidence
and respect in Dr. Vorwald
A.
Well yes and no
I had more confidence and
respect
Q
in Dr. Gardner than I
But you continued to
had in Dr. Vorwald
finance the study after
Dr. Gardner died
A. I don't mean I mistrusted Dr. Vorwald but
I thought that Dr. Gardner had greater experience
You said you read the correspondence and
a
you did read the exchange of letters from Dr. Gardner
in which him some
he mentioned that asbestos in Kaylo gave
concern because of the dangerous characteris-
tics of asbestos
A.
Yes
recognized a
And you knew that he
at the very
beginning of the study that asbestos was dangerous
harmful to health and it created a potential problem
for Kaylo
A.
Well no
I knew that he knew that asbestos
could be dangerous and we knew that too That's why
we went to him
Q
In the March 12th letter 1943 Exhibit H3
Dr.
Gardner
said
The
The
fact
See
that
you
are
starting with
a mixture of quartz and asbestos would certainly
suggest that you have all the ingredients for a first
class hazard
ee
A
Yes
a
That clearly suggested didn't it that Dr.
Gardner recognized and was telling Illinois in
1943 that by using asbestos in their product they
had the potential for a first class health hazard
did it not
A
Not exactly We knew what he was talking
about already We knew it had silica
in it
We
knew it had asbestos in it
Q
You recognized that either of those or both
presented significant health hazards to users of the
product
A.
No we didn't
52
150
a
You didn't recognizien 1943 that silica
presented a significant health hazard A We thought it might We didn't know it would
a
How about asbestos
A. Same with that We thought it might We
didn't know it would
Q And Dr. Gardner was pointing out that very
problem for you
A.
Yeah it wasn't new
Q Now Illinois knew did it not during
the time it was financing the Saranac Kaylo study
that these were animal studies that were being done
did they not
A.
We knew that
Q. And you continued to finance the studies
knowing that they were animal studies
A.
Yes sir
were assuming that you would be
Q
Because you
able to obtain from the animal studies data which
would be helpful to you in terms of pointing out
with whether there were health hazards involved
Kaylo
products
vo A.
Yes
Q And you recognized did you not during the
151
study that one of the things that is done with animal
studies is that the animals are usually subjected to " extreme concentrations of the product which is being
tested
A
Yes in the case of material like silica and
asbestos
Q.
But the purpose of an animal study essentiallyessentially
is to concentrate and shorten the time span
A.
I think you are generalizing there
exposure to some substances exposure period
Some
doesn't have have
to be shortened very much The reaction is very
immediate but not in the case of asbestos and silica
Q In the case of Kaylo wasn't the purpose of animal studies to get a reading and to find out what
would happen when animals were subjected to high
concentrations of Kaylo dust in a relatively concen-
trated period of time
A
Over a lifetime
Q
Over a lifetime of the animal
A. Yes a And the expectation is that the information
would then be translatable into what would likely
happen to humans who were exposed to the product
152
A. It would be a guide
it to be a guide when you
Q
And you expected
- financed the study didn't you
A.
Yes
Q
And you knew that the high concentrations
were being used of the Kaylo dust and you knew that
it was being used over a relatively short period of
time the life of the animal
A. It was a relatively long period of time if
it's a lifetime
Q.
of this
All right Now when you got the
study it came in over a period of
results time
is that right
A.
Q
to it
Yes
And the first as the first and
18 months I think you referred second study but really you
are talking about the reports coming in over a period
of time aren't you
A.
I'm not sure about that point
Q
to be
I mention it is because I want
The reason
studies clear that there are not different
There is really one Kaylo study that we're talking
about
55
153
A.
I thought there were different studies
Q
then
All right Let's work on your assumption
You understood that at the beginning the
animals were sacrificed after a relatively short
period of time
A.
Yes
as Q And a result of the sacrifice over a
short period of time no symptoms no pathological
changes of any significance were shown
A.
I see what you mean
. But as the period of exposure expanded or
extended from 18 months to 30 months that you began
to show or the study began to show significant
pathological changes in the animals
A.
Yes
Q
exactly
And what
this was
happened
in fact with the
wasn't it Mr. Hazard latentcy concept
Well there was more involved here than just
A
|
|
latentcy
Well don't you have the situation
Q.
A There was tremendous exposure
amount Q There was no difference in the
of
that the animals were subjected to in the
exposure
154 56
first 18 months compared to what they were subjected
to in the secon1d2 months of the 30 month period
A.
I see what you mean
Yes
Q It was consistent for those animals over the
entire 30 month period isn't that right
A.
Well if you sacrificed two bunches from the
original bunch you have lost those and you don't
know this consistency thing
would Q
No one knows what
happen if that
animal had not been sacrificed
A.
Right
Q - But the purpose of sacrificing some at 12
months some at 18 months and some at 30 months was
to see how the animals which were similar would be
in terms of time
affected by an increased exposure
isn't that right
A.
Yes
And the result of increase in time was
a
Vorwald reported to you by Dr.
to show that as the
increased from 18 months to 30 months
exposure
changes significant changes adverse pathological |
occurred in the animals
A
Yes
155 57
Q And that is comparable is it not Mr. Hazard
to what would happen to a person who is working in
shipyard an environment whether it be a plant or a
then who works three years and five years and
seven
years
of dust
would You
have the same increase in the amount
to which that person had been exposed as the
duration of the time continues is that correct
A.
It could be comparable
So therefore what you learned from the Q
Saranac study if you learned nothing else was that
increase in the duration of exposure tended to
the bring out in the animals that there would be patholo-
_ gical changes with the increase in the period of
exposure
ert
A.
Yes
And that information was transmittable and
translatable into the human experience wasn't it
A.
No.
Dr. When Q
All right
you received
Vorwald's
in 1948 in which he first advised you of what letter
had happened to the animals after 30 months he
expressed didn't he his concern If you refer
to Exhibit 9 again the November 16 1948 letter
156
58
Dr. Vorwald was telling you at that point in time
wasn't he that the increase in the duration of time
that the animals had been exposed to Kaylo brought about the significant changes in the pathology of
the animals
A.
What page are you on
Q. I'm right on the first page in the third
paragraph
A
What was your question
Q My question is In this letter Dr. Vorwald
was pointing
extending of
out
the
to you to Illinois that the
duration to which the animals had
been exposed brought about the development of
asbestosis in the animals
A.
Yes
Q animals
In fact he even says that in all of the sacrificed asbestosis was found doesn't it
A.
Yes
point telling a
And he was
you at that
wasn't
he
had
that this was a problem that you
to consider because of the health
Illinois
implications
.
of the animals studied
MR KELLY
Objection
157
A.
Yes
Q Now you also said at one point this
afternoon that you had no reports of Workmen's
Compensation
claims I think you said being filed in
the early 1950's with regard to Kaylo is that right
A.
Yes
Q. And I think you also indicated to me earlier
that the production of Kaylo began on a small basis
either a test or a small commercial basis in the early
'40 period before you got back and that after that it
began on a commercial basis is that about the right
time frame
A. I think that is I'm not sure just when it
began on a commercial basis but that was about the
sequence
Q. were
Would it be correct
working on the brochure
to say that when you that you were asked about
this afternoon that you really Illinois really
had less than 10 years of manufacturing exposure to
Kaylo
A.
Ten years I would say any way
And similarly people out in the field who
were using Kaylo had less than ten years of exposure
158 60
to Kaylo
A.
Yes
Q Now you also said earlier that shipyard
workers work in confined spaces Do you remember that
A.
Yes
Q And you said at one point that the plant I
think managed to stay pretty close within the TLV
whether it was the 5 million particle standard or
effect whatever standard was in
A
Yes
' And based on your activities in the plant
you were trying to maintain the best possible environment in the plant weren't you
A
The most needed environment
Q
-
You were putting in local exhaust and
ventilation and things like that
a
LO
A.
Yes
ee
a . Trying to clean up the atmosphere in the
plant
A.
Q
A.
Q
Yes
Do you think you succeeded
Yes
S^ in your opinion the plant in your view
159 61
well in terms of maintaining a good was doing pretty dust environment
A
Yes
ships Now you know that the workers aboard
worked in confined areas did you not
A.
Yes
Q And you know that you frequently had not only
the people who were actually doing the pipefitting and
the working with the asbestos products but other
were also working in the same confined area
trades
A
Yes
That was something that was known to you Q
wasn't it
A.
Q|
Yes
And do you have any idea as to what the
comparable dust figures were with regard to your plant
after you had been able to bring in all the environ-
mental
A.
and controls
dust equipment that you did
In our plant the dust levels were below
the
TLV and the Fleischer report gives their
figures
a
too so the figures are available
Have you ever spoken to any shipyard
workers
A.
I. don't know
167
62
Q Have you ever had the opportunity to have
anyone tell you about what conditions were like in
7
when they were insulating aboard
the confined spaces
a ship
A
No.
Q Have you ever had anybody tell you about not
being able to see from one end of a compartment to
another end of a compartment because the asbestos
to was so thick they couldn't see from one side
dust
another
MR KELLEY
Objection
A.
No.
You didn't know that when you drafted the Q brochure or reached your views about the health
hazards involved in Kaylo did you sir
A. Q.
actual
We knew about the health hazards in Kaylo
you What I am asking
didn't know about the
conditions aboard ships during installations
and during rip outs did you
A. We knew what Drinker and Fleischer wrote
Did you know about the actual conditions
MR KELLEY
Objection
MR ANDREW BERRY Objection
Well were based on actual
A
their figures
\ \
161
63
conditions
Q Illinois
Did you ever go aboard any
ever send anybody aboard a
ships Did Owensship and take a
dust count in the areas where your products were
being used
A.
No.
Q You never made that effort to see whether
what was happening aboard the ships to the people who
|
were actually using Kaylo was comparable to what was
happening in your plants did you
MR KELLY
Objection
A.
No it was not necessary
When you say it was not necessary you mean
that you didn't need that information
A.
We had comparable information accumulated
elsewhere
study
You have mentioned only the Fleischer What other comparable information did you
.
have
A.
Air samples that we made in our own plant
where Kaylo was processed
.
Q Did you ever go aboard a ship or did you
ever see anything of the conditions aboard a ship
162 64
other than the Fleischer report
A Well I have been aboard a ship yes
Q During insulation work
Not during insulation work
A.
you Let me put the question to
Mr. Hazard
so we can get it finished Did you have any informa-
tion other than the Fleischer report as to
the conditions were aboard ship during insulation
what and
during rip out of insulation
MR KELLEY
I'm going to object
This is repetitive These questions were
all asked just a minute and a half ago
MR LEVY
I think there is a
little bit of ambiguity That's all I am
trying to clear up
the did
me Other than
Let
rephrase the question |
-
Fleischer report which you have mentioned
information based on the tests you ever have any
based were
of what the conditions
on personal experience aboard a ship during the time when asbestos
or asbestos insulation _
insulation was being applied
was being ripped out
a
A
No.
163
164
I have no other
the deposition was o'clock p.m.
WILLIS HAZARD
a ( tary Public in and for
mmissioned and qualified
within witness irst duly sworn to tell
and nothing but the truth at the testimony then given
" stenotype in the presence
; transcribed upon a typeing is a true and correct mony so given by him as
lace in the foregoing caption
eted without adjournment
certify that I am not a relative any party or otherwise
t of this action
EREOF I have hereunto set my
al of office at Toledo Ohio
1981
February
Backi DianneDIANNE BOCHI Notary Public .n and for the State of
Ohio
February 25 1982
.fy hat this deposition was
wr
u_Ww 3
OA 4
having
PoaTua I
been PEGU
HOWARD MOES
duly sworn tell
previously
MS
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tell truth
examined
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